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91_SB0797 LRB9105973PTmb 1 AN ACT to amend the Illinois Income Tax Act by changing 2 Section 911. 3 Be it enacted by the People of the State of Illinois, 4 represented in the General Assembly: 5 Section 5. The Illinois Income Tax Act is amended by 6 changing Section 911 as follows: 7 (35 ILCS 5/911) (from Ch. 120, par. 9-911) 8 Sec. 911. Limitations on Claims for Refund. 9 (a) In general. Except as otherwise provided in this 10 Act: 11 (1) A claim for refund shall be filed not later 12 than 3 years after the date the return was filed (in the 13 case of returns required under Article 7 of this Act 14 respecting any amounts withheld as tax, not later than 3 15 years after the 15th day of the 4th month following the 16 close of the calendar year in which such withholding was 17 made), or one year after the date the tax was paid, 18 whichever is the later; and 19 (2) No credit or refund shall be allowed or made 20 with respect to the year for which the claim was filed 21 unless such claim is filed within such period. 22 (b) Federal changes. 23 (1) In general. In any case where notification of 24 an alteration is required by Section 506 (b), a claim for 25 refund may be filed within 2 years after the date on 26 which such notification was due (regardless of whether 27 such notice was given), but the amount recoverable 28 pursuant to a claim filed under this Section shall be 29 limited to the amount of any overpayment resulting under 30 this Act from recomputation of the taxpayer's net income, 31 net loss, or Article 2 credits for the taxable year after -2- LRB9105973PTmb 1 giving effect to the item or items reflected in the 2 alteration required to be reported. 3 (2) Tentative carryback adjustments paid before 4 January 1, 1974. If, as the result of the payment before 5 January 1, 1974 of a federal tentative carryback 6 adjustment, a notification of an alteration is required 7 under Section 506 (b), a claim for refund may be filed at 8 any time before January 1, 1976, but the amount 9 recoverable pursuant to a claim filed under this Section 10 shall be limited to the amount of any overpayment 11 resulting under this Act from recomputation of the 12 taxpayer's base income for the taxable year after giving 13 effect to the federal alteration resulting from the 14 tentative carryback adjustment irrespective of any 15 limitation imposed in paragraph (l) of this subsection. 16 (c) Extension by agreement. Where, before the 17 expiration of the time prescribed in this section for the 18 filing of a claim for refund, both the Department and the 19 claimant shall have consented in writing to its filing after 20 such time, such claim may be filed at any time prior to the 21 expiration of the period agreed upon. The period so agreed 22 upon may be extended by subsequent agreements in writing made 23 before the expiration of the period previously agreed upon. 24 (d) Limit on amount of credit or refund. 25 (1) Limit where claim filed within 3-year period. 26 If the claim was filed by the claimant during the 3-year 27 period prescribed in subsection (a), the amount of the 28 credit or refund shall not exceed the portion of the tax 29 paid within the period, immediately preceding the filing 30 of the claim, equal to 3 years plus the period of any 31 extension of time for filing the return. 32 (2) Limit where claim not filed within 3-year 33 period. If the claim was not filed within such 3-year 34 period, the amount of the credit or refund shall not -3- LRB9105973PTmb 1 exceed the portion of the tax paid during the one year 2 immediately preceding the filing of the claim. 3 (e) Time return deemed filed. For purposes of this 4 section a tax return filed before the last day prescribed by 5 law for the filing of such return (including any extensions 6 thereof) shall be deemed to have been filed on such last day. 7 (f) No claim for refund based on the taxpayer's taking a 8 credit for estimated tax payments as provided by Section 601 9 (b) (2) or for any amount paid by a taxpayer pursuant to 10 Section 602(a) or for any amount of credit for tax withheld 11 pursuant to Section 701 may be filed more than 3 years after 12 the due date, as provided by Section 505, of the return which 13 was required to be filed relative to the taxable year for 14 which the payments were made or for which the tax was 15 withheld. The changes in this subsection (f) made by this 16 amendatory Act of 1987 shall apply to all taxable years 17 ending on or after December 31, 1969. 18 (g) Special Period of Limitation with Respect to Net 19 Loss Carrybacks. If the claim for refund relates to an 20 overpayment attributable to a net loss carryback as provided 21 by Section 207, in lieu of the 3 year period of limitation 22 prescribed in subsection (a), the period shall be that period 23 which ends 3 years after the time prescribed by law for 24 filing the return (including extensions thereof) for the 25 taxable year of the net loss which results in such carryback, 26 or the period prescribed in subsection (c) in respect of such 27 taxable year, whichever expires later. In the case of such a 28 claim, the amount of the refund may exceed the portion of the 29 tax paid within the period provided in subsection (d) to the 30 extent of the amount of the overpayment attributable to such 31 carryback. 32 (h) Any credit or refund that is allowed under this 33 Section shall bear interest at the rate and in the manner 34 specified in the Uniform Penalty and Interest Act. -4- LRB9105973PTmb 1 (Source: P.A. 90-491, eff. 1-1-98.) 2 Section 99. Effective date. This Act takes effect upon 3 becoming law.