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IRS Clarifies Tax Filing and Payment Deadline Extensions


The Internal Revenue Service released a Q&A on Notice 2020-18 to clarify the relief available to taxpayers during the Coronavirus (COVID-19) pandemic. The Q&A offers important new details on the federal income tax filing and payment deadline extensions.


On March 24, 2020, the Internal Revenue Service (IRS) published a set of questions and answers (Q&A) regarding Notice 2020-18 (Notice), which provided relief to taxpayers during the Coronavirus (COVID-19) pandemic. Released on March 20, 2020, the Notice greatly expanded the earlier relief detailed in Notice 2020-17, as discussed here. The Notice generally provides that all federal income tax payments and federal income tax returns that were due April 15, 2020, in respect of 2019, and all first quarter estimated income taxes that were due on April 15, 2020, are now due July 15, 2020.

The Q&A offers important new detail regarding the filing and payment deadline extensions, some of which are highlighted here:

  • Under the Notice, it was unclear whether a taxpayer who cannot meet the July 15 filing deadline is required to file for an extension by April 15 or July 15. The Q&A provides that Form 4868 (relating to individuals) and Form 7004 (relating to businesses and trusts) can be filed by July 15 to qualify for an automatic extension through October 15, 2020.

  • Section 965(h) provides an election for certain US shareholders of controlled foreign corporations to pay any applicable Section 965 transition tax over eight installments. While these payments are technically made in respect of a taxpayer’s 2017 or 2018 tax year, the Q&A provides that the relief under the Notice applies to Section 965(h) installment payments that were due on April 15, 2020, because the due date of the installment payment associated with a 2019 tax return is the due date of the 2019 return itself.

  • The Q&A also provides that the deadline for employees to make contributions to Individual Retirement Accounts (IRAs), Health Savings Accounts (HSAs) and Archer Medical Savings Accounts (MSAs) for 2019 has been extended as part of the filing deadline extension. The extension also affects the grace period under Section 404(a)(6) for employers to contribute to workplace-based retirements plans for the tax year 2019.

  • The Q&A makes clear that the normal filing and payment due dates apply for estate and gift tax purposes. Taxpayers seeking extensions relating to these returns and payments must file Form 8892 or Form 4868 to qualify for an automatic extension through October 15, 2020.

  • The Notice provides that the postponement of the filing and payment of federal income taxes relates to the following tax forms:

    • Form 1040, 1040-SR, 1040-NR, 1040-NR-EZ, 1040-PR, 1040-SS

    • Form 1041, 1041-N, 1041-QFT

    • Form 1120, 1120-C, 1120-F, 1120-FSC, 1120-H, 1120-L, 1120-ND, 1120-PC, 1120-POL, 1120-REIT, 1120-RIC, 1120-SF

    • Form 8960

    • Form 8991.

If a Form 990-T was originally due to be filed on April 15, then it has been postponed to July 15. The due date remains unchanged for taxpayers whose Form 990-T is due on May 15. With respect to returns that were due on March 16, 2020, which include Form 1065, Form 1065-B, Form 1066 and Form 1120-S for calendar year taxpayers, filing has not been postponed.

  • Fiscal year taxpayers with payment or tax return filing due dates other than April 15, 2020 (g., May 15, June 15) are not granted relief at this time.

  • The Q&A makes clear that relief does not apply to the filing of any information returns or payment of any excise tax, because the Notice is limited to federal income tax returns and payments.

© 2020 McDermott Will & EmeryNational Law Review, Volume X, Number 84


About this Author

Justin Jesse International Tax Attorney McDermott Will Emery Law Firm

Justin Jesse is an associate in the law firm of McDermott Will & Emery LLP and is based in the Firm’s Washington, DC office.  He focuses his practice on U.S. and International Tax.

Carlyn S. McCaffrey, private client, tax attorney with McDermott Will law firm

Carlyn S. McCaffrey is a partner in the law firm of McDermott Will & Emery LLP and is co-head of the private client practice in the Firm’s New York office.  She focuses her practice on domestic and international tax and estate planning for high net worth individuals.  She also advises individuals and institutions on charitable planning matters.

Carlyn has been widely recognized as a leading lawyer in her field.  Since 2006, Chambers USA has ranked her a “Star” lawyer for business and wealth management, with the most recent edition stating that Carlyn “is regarded by the market as being at the cutting edge of trusts and estate law.”  The Best Lawyers in America has named her a “Best Lawyer” in the specialty of trusts and estates in each of the past 20 years.  Carlyn has been ranked as a “Highly Recommended” lawyer for private clients by PLC Which Lawyer? since 2009. 

Andrew R. Roberson tax attorney McDermott Will. Andy handles tax cases in Federal court, United States Tax Court

Andrew R. Roberson is a partner in the law firm of McDermott Will & Emery LLP and is based in the Firm’s Chicago office.  Andy specializes in tax controversy and litigation matters, and has been involved in over 30 matters at all levels of the Federal court system, including the United States Tax Court, several US Courts of Appeal and the Supreme Court. 

Andy also represents clients, including participants in the CAP program, before the Internal Revenue Service Examination Division and Appeals Office, and has been successful in settling...