In the case of returns for taxable years beginning after December 31, 2013, the Secretary of the Treasury or the Secretary’s delegate shall modify appropriate regulations to provide as follows:
(1)
The maximum extension for the returns of partnerships filing Form 1065 shall be a 6-month period ending after the date prescribed for filing the return.
(2)
The maximum extension for the returns of trusts and estates filing Form 1041 shall be a 5½-month period ending after the date prescribed for filing the return.
(3)
The maximum extension for the returns of employee benefit plans filing Form 5500 shall be an automatic 3½-month period ending after the date prescribed for filing the return.
(4)
The maximum extension for the Forms 990 (series) returns of organizations exempt from income tax filing shall be an automatic 6-month period ending after the date prescribed for filing the return.
(5)
The maximum extension for the returns of organizations exempt from income tax filing that are required to file Form 4720 returns of excise taxes shall be an automatic 6-month period ending after the date prescribed for filing the return.
(6)
The maximum extension for the returns of trusts required to file Form 5227 shall be an automatic 6-month period ending after the date prescribed for filing the return.
(7)
The maximum extension for the returns of Black Lung Benefit Trusts required to file Form 6069 for excise taxes shall be an automatic 6- month period ending after the date prescribed for filing the return.
(8)
The maximum extension for a taxpayer required to file Form 8870 shall be an automatic 6-month period ending after the date prescribed for filing the return.
(9)
The due date of Form 3520–A, Annual Information Return of a Foreign Trust with a U.S. Owner, shall be the 15th day of the fourth month after the close of the trust’s tax year with a maximum extension of a 6-month period ending after the date prescribed for filing the return.
(10)
The due date of Form TD F 90–22.1 (relating to Report of Foreign Bank and Financial Accounts) shall be April 15 with a maximum extension for a 6-month period ending on October 15 and with provision for an extension under rules similar to the rules in Treas. Reg. section 1.6081–5. For any taxpayer required to file such Form for the first time, any penalty for failure to timely request for, or file, an extension, may be waived by the Secretary.
(11)
Taxpayers filing Form 3520, Annual Return to Report Transactions with Foreign Trusts and Receipt of Certain Foreign Gifts, shall be allowed to extend Form 3520 separately from the income tax return of the owner for an automatic 6-month period ending after the date prescribed for filing the owner’s return.