a)
No interest shall be paid upon any
overpayment of tax if the overpayment is refunded or a credit approved within
90 days after the last date prescribed for filing the original return, or
within 90 days of the receipt of the processable return, or within 90 days
after the date of overpayment, whichever is latest, as determined without
regard to processing time by the Comptroller or without regard to the date on
which the credit is applied to the taxpayer's account. (UPIA Section
3-2(d))
1) The reference to "credit" in UPIA
Section 3-2, and throughout this Section, is to claims for credit granted under
the various tax Acts.
2) Under ROTA
Section 3, the Department has been granted the authority to issue verified
credits. A verified credit is an amount of tax overpaid in a prior period that
may be rolled over and applied to a tax liability. The verified credit
mechanism authorizes this procedure without the necessity of the formalities
involved in the claim for credit procedures. Interest is not paid on verified
credits. They appear on the Statement of Account.
b) For purposes of this Section, UPIA Section
3-2(d) provides that the date of overpayment shall mean the date tax was paid,
the original due date of the return or the date a processable return was
received, whichever is later.
1) When a return
is unprocessable, and the Department issues a notice of that fact to the
taxpayer within 90 days after the filing of the unprocessable return or within
90 days after the due date (whichever is later), interest will be allowed on
any overpayment from the date the return was made processable by the taxpayer,
but only if the refund or claim for credit on the overpayment is not approved
within 90 days after the date on which the return was made
processable.
2) When a return is
unprocessable and notice of that fact is not given to the taxpayer by the
Department within 90 days after the filing of the unprocessable return,
interest will be allowed from the latter of the date the tax was paid, the
original due date of the return or the date the unprocessable return was
originally received until the date of notice to the taxpayer by the Department
that the return is unprocessable. Additional interest will be allowed from the
date the return was made processable until the date the refund or claim for
credit on the overpayment is approved, but only if the refund or claim for
credit is not approved within 90 days after the date the return was made
processable by the taxpayer. (See subsection (f).)
c) For purposes of calculating interest on
overpayments of tax,
a processable return is a return that;
1)
is in the form prescribed or
approved by the Department;
2)
is signed by the person authorized
by law; and
3)
contains all information, schedules, and support documents necessary to
determine the tax due and to make allocations of tax as prescribed by
law. (UPIA Section 3-2)
d) Any unprocessable return that is not
corrected and made processable within the time period identified on the
Department's notice will be considered a nonfiled return, subject to any and
all applicable penalties. Being considered a nonfiler for any given period will
also result in an extended or open time period for issuance of a Notice of
Deficiency or Notice of Tax Liability.
e)
For the purpose of computing
interest, a return shall be deemed processable unless the Department notifies
the taxpayer that the return is not processable within 90 days after the
receipt of the return; however, interest shall not accumulate for the period
following this date of notice. (UPIA Section 3-2) Notice by the
Department must be in writing and is effective on the date mailed to the
taxpayer at the last known address for the taxpayer according to Department
records.
f)
Interest on
amounts refunded or credited pursuant to the filing of an amended return or
claim for refund shall be determined from the due date of the original return
or the date of overpayment, whichever is later, to the date of the payment by
the Department without regard to processing time by the Comptroller or the date
of credit by the Department or without regard to the date on which the credit
is applied to the taxpayer's account. (UPIA Section 3-2(d)) Interest
on overpayments due pursuant to the filing of an amended return or claim for
credit will be allowed as specified in this subsection (f) and subsection (b)
except:
1) that interest will be allowed
whether or not the overpayment is approved within the 90 day period after the
amended return was filed (except if the refund or credit is issued within 90
days after receipt of the original processable return or the date of
overpayment (see subsection (a)); or
2)
If a claim for refund relates to
an overpayment attributable to a net loss carryback as provided by IITA Section
207, the date of overpayment shall be the last day of the taxable year in which
the loss was incurred. (UPIA Section 3-2) In this case interest
accrues only from the last day of the taxable year in which the loss was
incurred.
g) If the
Department notifies the taxpayer that a return is unprocessable later than 90
days from the date the return is received, the Department will be required to
pay interest only from the due date of the original return to the date of the
Department's notice to the taxpayer that the return is unprocessable.
EXAMPLE 1: A corporate income tax return reflecting a refund
of $10,000 for the taxable year ending December 31, 1994 was filed on March 15,
1995. On June 1, 1995, notice was given that the return is not processable. The
taxpayer responded on July 1, 1995 with information suitable to process the
return. If a refund is approved by October 1, 1995, no interest will be allowed
because notice was given within 90 days after the date the return was received
and the refund was approved within 90 days after the date the return was made
processable.
EXAMPLE 2: Same facts as in the preceding example except that
notice was not given until June 16, 1995. In this case, interest will be
allowed from March 15, 1995 through June 16, 1995.
EXAMPLE 3: Same facts as in Example 2 except that the refund
is not approved until November 1, 1995. In addition to the interest provided in
Example 2, interest will also be allowed from July 1, 1995 through November 1,
1995.