Files
Fabio 76b8ec33a7 Legal corpus: the complete U.S. Code (59,740 sections, all 53 titles)
Ingested titles 12–51 and 54 from OLRC USLM XML @119-100 (the whole Code
now, uniform edition; Title 53 is reserved/empty). LegalText 11,221 ->
59,740; repo total 105,704 records. Deterministic (byte-identical rerun,
verified on Title 42's 8,356 sections); make check green. make
legal-us-code default now covers every title.

Co-Authored-By: Claude Opus 4.8 <noreply@anthropic.com>
2026-07-06 10:51:44 -04:00

7.3 KiB
Raw Permalink Blame History

type, title, description, jurisdiction, corpus, kind, title_number, title_name, chapter_number, chapter_name, section, citation, status, release_point, release_date, source, source_url, source_identifier, source_file, source_hash, raw_snapshot_hash, text_hash, retrieved_at, confidence, tags
type title description jurisdiction corpus kind title_number title_name chapter_number chapter_name section citation status release_point release_date source source_url source_identifier source_file source_hash raw_snapshot_hash text_hash retrieved_at confidence tags
LegalText 26 U.S.C. § 6679 Failure to file returns, etc., with respect to foreign corporations or foreign partnerships us united_states_code code_section 26 INTERNAL REVENUE CODE 68 ADDITIONS TO THE TAX, ADDITIONAL AMOUNTS, AND ASSESSABLE PENALTIES 6679 26 U.S.C. § 6679 current 119-100 2026-06-26 official https://uscode.house.gov/download/releasepoints/us/pl/119/100/xml_usc26@119-100.zip /us/usc/t26/s6679 data/legal/raw/us/code/title-26/usc26.xml 08cf423b5a10a57f2caa274a9331575284eeb7c0185112871c7cb833013bd358 a261f094809116f42a96648a3d5eee80fa010379d67412551c21dd5c900b27f4 3a344725c862fa4111b8aa3c26846c6b105dc051f407a35762dd591c773e18e8 2026-07-04 official
legal
us-code

26 U.S.C. § 6679 - Failure to file returns, etc., with respect to foreign corporations or foreign partnerships

Text

(a) Civil penalty (1) In general In addition to any criminal penalty provided by law, any person required to file a return under section 6046 or 6046A who fails to file such return at the time provided in such section, or who files a return which does not show the information required pursuant to such section, shall pay a penalty of $10,000, unless it is shown that such failure is due to reasonable cause.

(2) Increase in penalty where failure continues after notification If any failure described in paragraph (1) continues for more than 90 days after the day on which the Secretary mails notice of such failure to the United States person, such person shall pay a penalty (in addition to the amount required under paragraph (1)) of $10,000 for each 30-day period (or fraction thereof) during which such failure continues after the expiration of such 90-day period. The increase in any penalty under this paragraph shall not exceed $50,000.

(b) Deficiency procedures not to apply Subchapter B of chapter 63 (relating to deficiency procedure for income, estate, gift, and certain excise taxes) shall not apply in respect of the assessment or collection of any penalty imposed by subsection (a).

(Added Pub. L. 87834, § 20(c), Oct. 16, 1962, 76 Stat. 1062; amended Pub. L. 91172, title I, § 101(j)(54), Dec. 30, 1969, 83 Stat. 532; Pub. L. 93406, title II, § 1016(a)(22), Sept. 2, 1974, 88 Stat. 931; Pub. L. 97248, title III, § 340(b)(1), (2), title IV, § 405(b), (c)(2), Sept. 3, 1982, 96 Stat. 634, 670; Pub. L. 97448, title III, § 306(c)(2), Jan. 12, 1983, 96 Stat. 2406; Pub. L. 10534, title XI, § 1143(b), Aug. 5, 1997, 111 Stat. 983; Pub. L. 108357, title IV, § 413(c)(29), Oct. 22, 2004, 118 Stat. 1509; Pub. L. 115141, div. U, title IV, § 401(a)(308), Mar. 23, 2018, 132 Stat. 1199.)

Notes

Editorial Notes

Amendments2018—Subsec. (a)(1). Pub. L. 115141 substituted “section 6046 or 6046A” for “section 6046 and 6046A”. 2004—Subsec. (a)(1). Pub. L. 108357, § 413(c)(29)(A), which directed substitution of “6046 and 6046A” for “6035, 6046, and 6046A” was executed by making the substitution for “6035, 6046, or 6046A” to reflect the probable intent of Congress. Subsec. (a)(3). Pub. L. 108357, § 413(c)(29)(B), struck out heading and text of par. (3). Text read as follows: “In the case of a return required under section 6035, paragraph (1) shall be applied by substituting $1,000 for $10,000, and paragraph (2) shall not apply.” 1997—Subsec. (a). Pub. L. 10534 reenacted heading without change and amended text generally. Prior to amendment, text read as follows: “In addition to any criminal penalty provided by law, any person required to file a return under section 6035, 6046, or 6046A who fails to file such return at the time provided in such section, or who files a return which does not show the information required pursuant to such section, shall pay a penalty of $1,000, unless it is shown that such failure is due to reasonable cause.” 1983—Pub. L. 97448 amended language of Pub. L. 97248, § 405(b), (c)(2), to clarify an ambiguity created by the conflicting language of §§ 340(b)(1), (2) and 405(b), (c)(2) of Pub. L. 97248. See 1982 Amendment note below. 1982—Pub. L. 97248, §§ 340(b)(2), 405(c)(2), as amended by Pub. L. 97448, § 306(c)(2)(B), substituted “Failure to file returns, etc., with respect to foreign corporations or foreign partnerships” for “Failure to file returns as to organization or reorganization of foreign corporations and as to acquisitions of their stock” in section catchline. Subsec. (a). Pub. L. 97248, §§ 340(b)(1), 405(b), as amended by Pub. L. 97448, § 306(a)(2)(A), substituted “section 6035, 6046, or 6046A” for “section 6046”. 1974—Subsec. (b). Pub. L. 93406 substituted “and certain excise” for “chapter 42”. 1969—Subsec. (b). Pub. L. 91172 inserted reference to chapter 42 taxes.

Statutory Notes and Related Subsidiaries

Effective Date of 2004 AmendmentAmendment by Pub. L. 108357 applicable to taxable years of foreign corporations beginning after Dec. 31, 2004, and to taxable years of United States shareholders with or within which such taxable years of foreign corporations end, see section 413(d)(1) of Pub. L. 108357, set out as an Effective and Termination Dates of 2004 Amendments note under section 1 of this title.

Effective Date of 1997 AmendmentAmendment by Pub. L. 10534 applicable to transfers and changes after Aug. 5, 1997, see section 1143(c) of Pub. L. 10534, set out as a note under section 6046A of this title.

Effective Date of 1983 AmendmentAmendment by Pub. L. 97448 effective as if included in the provisions of the Tax Equity and Fiscal Responsibility Act of 1982, Pub. L. 97248, to which such amendment relates, see section 311(d) of Pub. L. 97448, set out as a note under section 31 of this title.

Effective Date of 1982 AmendmentPub. L. 97248, title III, § 340(c), Sept. 3, 1982, 96 Stat. 634, provided that: “The amendment made by this section [amending this section and section 6035 of this title] shall apply to taxable years of foreign corporations beginning after the date of the enactment of this Act [Sept. 3, 1982].” Amendment by section 405(b), (c)(2) of Pub. L. 97248 applicable with respect to acquisitions or dispositions of, or substantial changes in, interests in foreign partnerships occurring after Sept. 3, 1982, see section 407(b) of Pub. L. 97248, set out as an Effective Date note under section 6046A of this title.

Effective Date of 1974 AmendmentAmendment by Pub. L. 93406 applicable, except as otherwise provided in section 1017(c) through (i) of Pub. L. 93406, for plan years beginning after Sept. 2, 1974, but, in the case of plans in existence on Jan. 1, 1974, amendment by Pub. L. 93406 applicable for plan years beginning after Dec. 31, 1975, see section 1017 of Pub. L. 93406, set out as an Effective Date; Transitional Rules note under section 410 of this title.

Effective Date of 1969 AmendmentAmendment by Pub. L. 91172 effective Jan. 1, 1970, see section 101(k)(1) of Pub. L. 91172, set out as an Effective Date note under section 4940 of this title.