Announcement 2005-69 |
October 3, 2005 |
Disaster Relief for Issuers of Tax-Exempt Bonds
Affected by Hurricane Katrina
In view of the extreme need for relief in the aftermath of Hurricane
Katrina, issuers of tax-exempt bonds may be unable to meet filing or payment
requirements under sections 149(e) and 148(f) of the Internal Revenue Code.
This announcement provides relief to issuers affected by Hurricane Katrina.
All parishes in Louisiana and counties in Mississippi, Alabama, and
Florida that have been or are later designated as disaster areas because of
devastation caused by Hurricane Katrina are collectively referred to herein
as the ”covered counties”.
PROCEDURES FOR REQUESTING RELIEF
a. An affected issuer is an issuer that meets one or more of the following:
-
It is located in one of the covered counties;
-
It is not located in any of the covered counties, but its records necessary
to meet a filing or paying deadline for the issue are maintained in one of
the covered counties;
-
The facilities financed with the proceeds of the issue are located in
one of the covered counties;
-
The conduit borrower for the issue is located in one of the covered
counties;
-
The counsel to the issuer or the conduit borrower, or bond counsel for
the issue, is located in one of the covered counties;
-
The professional on whom the issuer relies for compliance with the relevant
provision of the Code is located in one of the covered counties. For example,
the issuer may need to rely on one or more of the following persons in order
to comply with the rebate requirement of section 148(f): the bond trustee,
financial advisor or a rebate consultant.
(b) With respect to the requirements under sections 149(e) and 148(f),
an affected issuer has until January 3, 2006 to file Form 8038, Form 8038-G,
Form 8038-GC or Form 8038-T for an issue for which such form is otherwise
required to be filed in accordance with an original due date that occurs on
or after August 29, 2005, and on or before December 31, 2005. In the case
of a Form 8038-T, the Service will not impose a penalty, including any interest
portion thereof, under section 148 of the Code, on rebate payments, yield
reduction payments and penalties in lieu of rebate that are originally due
on or after August 29, 2005, and on or before December 31, 2005, provided
such payments are made by January 3, 2006. For computation purposes, such
payments will be treated as paid on the last day of the computation or spending
period to which they relate.
(c) When filing a form described in subsection (b) above, the affected
issuer should add the following designation in red ink at the top of the form,
”Hurricane Katrina Relief, See Announcement 2005-69.”
(d) In addition to the relief granted in subsection (b) above, other
relief may also be granted under appropriate circumstances for affected issuers
(for example, affected issuers unable to redeem their current refunded issue
within 90 days of issuance of the current refunding issue). An affected issuer
may request relief by contacting the Tax Exempt Bonds, Outreach, Planning
and Review (”TEB OPR”) function of Tax Exempt/Government Entities
at (202) 283-9798, contact person: Cliff Gannett.
The principal author of this announcement is Lynn Kawecki of Tax Exempt
Bonds Outreach, Planning and Review of the Office of the Director, Tax Exempt
Bonds, Tax Exempt/Government Entities. For further information regarding
this announcement or comments as to how additional relief may be provided
to affected issuers, contact Mr. Kawecki at (202) 283-9782 (not a toll-free
call).
Internal Revenue Bulletin 2005-40
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