US Lawyer Database

6-3-4.5-1-b. Definitions

     Note: This version of section effective 7-1-2022. See also preceding version of this section, effective until 7-1-2022. Sec. 1. The following definitions apply throughout this chapter: (1) “Adjustment year” means the partnership taxable year described in Section 6225(d)(2) of the Internal Revenue Code. (2) “Administrative adjustment request” means an administrative adjustment request filed by a […]

6-3-4.5-1. Definitions

     Note: This version of section effective until 7-1-2022. See also following version of this section, effective 7-1-2022. Sec. 1. The following definitions apply throughout this chapter: (1) “Adjustment year” means the partnership taxable year described in Section 6225(d)(2) of the Internal Revenue Code. (2) “Administrative adjustment request” means an administrative adjustment request filed by a […]

6-3-4.5-10. Reporting and Payment Requirements; Tiered Partners; Rules

Sec. 10. (a) The direct and indirect partners of an audited partnership that are tiered partners, and all of the partners, owners, and beneficiaries of those tiered partners that are subject to tax under IC 6-3 or IC 6-5.5, are subject to the reporting and payment requirements of section 8 of this chapter. (b) The […]

6-3-4.5-11. Procedures; Alternative Reporting and Payment Method; Application; Timing

Sec. 11. Under procedures adopted by and subject to the approval of the department, an audited partnership or tiered partner may enter into an agreement with the department to utilize an alternative reporting and payment method, including applicable time requirements or any other provision of section 9 of this chapter, if the audited partnership or […]

6-3-4.5-13. Designation of a State Partnership Representative; Qualifications

Sec. 13. If the department conducts an audit or investigation under this chapter, or the partnership receives federal adjustments covered under sections 9 through 12 of this chapter, the partnership shall be required to designate a state partnership representative for that taxable year or review year. The following apply: (1) With respect to an action […]

6-3-4.5-14. Changes to a Report of Final Partnership Adjustments; Timing

Sec. 14. For purposes of this chapter and IC 6-8.1-5-2, an assessment may not be issued against a direct or indirect partner or partnership with regard to changes related to a report of final partnership adjustments if the report of proposed partnership adjustments is issued by the department to a partnership after the latest of: […]

6-3-4.5-15. Reports; Proposed Assessment; Timing; Protest; Appeal

Sec. 15. (a) If the department receives the partner level adjustments report, amended statement, or similar report required to be provided under section 6 of this chapter and the department determines that a taxpayer has not reported the correct amount of tax to the department for a taxable year of the taxpayer affected by the […]

6-3-4.5-17. Inconsistent Reporting of Tax Attribute; Disclosure; Proposed Assessment; Timing; Reporting Considered Conclusive for Protest or Appeal

Sec. 17. (a) If the department determines that a taxpayer reported a tax attribute in an inconsistent manner with the partnership’s reporting of the tax attribute and the taxpayer does not disclose the inconsistent reporting in a manner prescribed by the department, the department may issue a proposed assessment against the taxpayer as a result […]

6-3-4.5-18-b. Reporting Requirements; Liability for Tax; Proposed Assessment Timing; Reduction of the Tax Attributable to Direct or Indirect Partner; Duty to Issue Report

     Note: This version of section effective 7-1-2022. See also preceding version of this section, effective until 7-1-2022. Sec. 18. (a) If a partnership or tiered partner is required to issue a report, issue an amended statement, or issue other information to a partner, owner, or beneficiary under this chapter, and does not issue such report, […]

6-3-4.5-18. Reporting Requirements; Liability for Tax; Proposed Assessment Timing; Reduction of the Tax Attributable to Direct or Indirect Partner; Duty to Issue Report

     Note: This version of section effective until 7-1-2022. See also following version of this section, effective 7-1-2022. Sec. 18. (a) If a partnership or tiered partner is required to issue a report, issue an amended statement, or issue other information to a partner, owner, or beneficiary under this chapter, and does not issue such report, […]

6-3-4.5-19. Remitting Payment on Behalf of a Partner; Claim for Refund

Sec. 19. If a partnership or tiered partner remits a payment on behalf of a partner, shareholder, or beneficiary as a result of this chapter, the partner, shareholder, or beneficiary may file a claim for refund with regard to any overpayment remitted on its behalf not later than the date on which the partner, shareholder, […]

6-3-4.5-4. Partnership’s Right to Protest and Appeal

Sec. 4. If the department issues a report of proposed partnership adjustments to a partnership for a taxable year, the partnership shall be considered to be the taxpayer for purposes of IC 6-8.1-5, including all rights to protest and appeal the report of proposed partnership adjustments, except as specifically provided under this chapter. As added […]