Extension of time to file is not an extension of time to pay.

AuthorSchuster, Randi A.

Close friends and family members often help each other by serving as trustees of family trusts and executors of each other's estates. A recent California case illustrates what can happen when people undertake these responsibilities without the proper advice.

In Baccei, No. C 07-5329 PJH (N.D. Cal. 6/26/08), an estate was penalized because a proper extension to pay was never requested. Although the estate did request a timely extension of time to file the return, a proper extension of time to pay was not requested. A statement was included with the form, but all the information needed to make a request for an extension of time to pay was not included with the extension form. The court denied the nephew-executor's request for a refund of the late payment penalty (which, with interest, amounted to $128,755.28).

Procedure

An extension of time to file and time to pay for an estate are both granted on Form 4768, Application for Extension of Time to File a Return and/or Pay U.S. Estate (and Generation-Skipping Transfer) Taxes. The extension of time to file is automatically granted as long as the request is made timely. However, an extension of time for filing a return does not operate to extend the time for payment of tax. To obtain an extension of time to pay, the executor must complete Part III of Form 4768 and enter the requested extension date in the box in that part.

In order for an estate to be granted an extension of time to pay, the executor must follow specific and detailed rules. Regs Sec. 20.6161-1(b) states that an application containing a request for extension of time to pay "shall be in writing, shall state the period of the extension requested, and shall include a declaration that is made under penalties of perjury." In addition, if the application for extension of time to pay is based on a claim of reasonable cause or hardship, a statement of such reasonable cause or hardship must also be included.

Baccei Case

In Baccei, the court granted summary judgment to the IRS because no proper extension of time to pay was requested. The accountant who prepared Form 4768 did not state the period of the extension requested, failed to include a declaration that the request was made under penalty of perjury, and failed to include a statement asserting reasonable cause or showing why a denial would result in undue hardship to the estate.

Although a statement was included with the extension request, it met none of the requirements of the...

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