[Code of Federal Regulations]
[Title 26, Volume 18]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR301.6652-2]

[Page 414-415]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 301_PROCEDURE AND ADMINISTRATION--Table of Contents
 
   Additions to the Tax, Additional Amounts, and Assessable Penalties
 
Sec. 301.6652-2  Failure by exempt organizations and certain nonexempt 

organizations to file certain returns or to comply with section 6104(d) 
for taxable years beginning after December 31, 1969.

    (a) Exempt organization or trust. In the case of a failure to file a 
return required by--
    (1) Section 6033, relating to returns by exempt organizations, 
trusts described in section 4947(a)(1) and nonexempt private 
foundations,
    (2) Section 6034, relating to returns by certain trusts, or
    (3) Section 6043(b), relating to returns regarding the liquidation, 
dissolution, termination, or substantial contraction of an exempt 
organization,

within the time and in the manner prescribed for filing such return 
(determined with regard to any extension of time for filing), unless it 
is shown that such failure is due to reasonable cause, there shall be 
paid by the exempt organization or trust failing to file such return $10 
for each day during which such failure continues. However, the total 
amount imposed on any exempt organization or trust under this paragraph 
for such failure with regard to any one return shall not exceed $5,000.
    (b) Managers. If an exempt organization or trust fails to file under 
section 6652(d)(1), the Commissioner may, by written demand, request 
that such organization or trust file the delinquent return within 90 
days after the date of mailing of such demand, or within such additional 
period as the Commissioner shall determine is reasonable under the 
circumstances. If such organization or trust does not so file on or 
before the date specified in such demand, there shall be paid by the 
person or persons responsible for such failure to file $10 for each day 
after such date during which such failure continues, unless it is shown 
that such failure is due to reasonable cause. However, the total amount 
imposed under this paragraph on all persons responsible for such failure 
with regard to any one return shall not exceed $5,000.
    (c) Public inspection of private foundations' annual returns--(1) In 
general. In the case of a failure to comply with the requirements of 
section 6104(d), relating to public inspection of private foundations' 
annual returns, within the time and in the manner prescribed for 
complying with section 6104(d), unless it is shown that such failure is 
due to reasonable cause, there shall be paid by the person or persons 
responsible for failing to comply with section 6104(d) $10 for each day 
during which such failure continues. However, the total amount imposed 
under this subparagraph on all persons responsible for any such failure 
with regard to any one annual return shall not exceed $5,000.
    (2) Amount imposed. The amount imposed under section 6652(d)(3) is 
$10 per day for a failure to comply with section 6104(d). For example, 
assume that an annual return must be filed by private foundation X on or 
before May 15, 1982, for the calendar year 1981. The foundation without 
reasonable cause

[[Page 415]]

does not comply with section 6104(d) by publishing notice of the 
availability of the annual return until July 30, 1982. In this case, the 
person failing to comply with section 6104(d) within the prescribed time 
is required to pay $760 for complying with section 6104(d) 76 days late.
    (3) Cross reference. For the penalty for willful failure to comply 
with section 6104(d), see Sec. 301.6685-1.
    (d) Special rules. For purposes of section 6652(d) and this 
section--
    (1) Person. The term ``person'' means any officer, director, 
trustee, employee, member, or other individual whose duty it is to 
perform the act in respect of which the violation occurs.
    (2) Liability. If more than one person (as defined in subparagraph 
(1) of this paragraph (d)) is liable for a failure to file or to comply 
with section 6652(d) (2) or (3), all such persons shall be jointly and 
severally liable with respect to such failure.
    (e) Manner of payment. The amount imposed under section 6652(d) and 
this section on any exempt organization, trust, or person (as defined in 
paragraph (d)(1) of this section) shall be paid in the same manner as 
tax upon the issuance of a notice and demand therefor.
    (f) Showing of reasonable cause. No amount imposed by section 
6652(d) shall apply with respect to a failure to file or comply under 
this section if it is established to the satisfaction of the district 
director or director of the internal revenue service center that such 
failure was due to reasonable cause. An affirmative showing of 
reasonable cause must be made in the form of a written statement 
containing a declaration by the appropriate person (as defined in 
paragraph (d)(1) of this section), or in his absence, by any officer, 
director, or trustee of the organization, that the statement is made 
under the penalties of perjury, setting forth all the facts alleged as 
reasonable cause.
    (g) Group returns. If a central organization is authorized to file a 
group return on behalf of two or more of its local organizations for the 
taxable year in accordance with paragraph (d) of Sec. 1.6033-2 (Income 
Tax Regulations), the responsibility for timely filing of such a return 
is placed upon the central organization for purposes of this section. 
Consequently, the amount imposed by section 6652(d)(1) for failure to 
file the group return shall be paid by the central organization and the 
amount imposed by section 6652(d)(2) for failure to file the group 
return within the time prescribed by the Commissioner shall be paid by 
the person or persons responsible for filing the group return.
    (h) Effective date. This section shall apply for taxable years 
beginning after December 31, 1969.

[T.D. 7127, 36 FR 11503, June 15, 1971, as amended by T.D. 8026, 50 FR 
20758, May 20, 1985]