86 Ill. Adm. Code 700.220
Interest Charged Taxpayers (UPIA Section 3-2)
Section 700
Section 700.220 Interest
Charged Taxpayers (UPIA Section 3-2)
a) Interest charged to taxpayers applicable for returns due on or
before December 31, 2000
(without regard to
extensions)
.
Interest shall be simple interest calculated on a daily basis.
Interest shall accrue upon tax and penalty due. If notice and demand is made
for the payment of any amount of tax due and if the amount due is paid within
30
days after the date of such notice and demand, interest under UPIA
Section 3-2(c) on the amount so paid shall not be imposed for the period after
the date of the notice and demand.
(UPIA Section 3-2(c))
b) Interest charged to taxpayers applicable for returns due on
and after January 1, 2001
(without regard
to extensions)
.
Interest shall be simple interest calculated on a
daily basis. Interest shall accrue upon tax due. If notice and demand is made
for the payment of any amount of tax due and if the amount due is paid within
30 days after the date of the notice and demand, interest under this UPIA Section
3-2(c) on the amount so paid shall not be imposed for the period after the date
of the notice and demand.
(UPIA Section 3-2(c))
Under
this provision, interest shall not accrue on penalties.
EXAMPLE: A
taxpayer timely filed his individual income tax return on April 15, but because
of an arithmetic error the taxpayer did not pay the entire amount of tax due.
If the return was due prior to January 1, 2001, interest
accrues on the unpaid tax liability and on any late payment penalty. If the return
was due on or after January 1, 2001, interest accrues on the unpaid tax
liability, but not on any late payment penalty.
c) Interest on tax shall accrue from the date of underpayment.
d) For returns due on or before December 31, 2000 (without regard
to extensions), interest on any penalty shall accrue from the date the penalty
is imposed.
EXAMPLE 1:
Taxpayer's
Retailers' Occupation Tax return for the
January 1994 liability period was due February 20, 1994. The return was filed
and tax was paid on May 25, 1994. Interest is charged on the tax due from
February 21, 1994 through May 25, 1994, the date the tax was paid,
and on any penalty assessed from February 21, 1994 through
the date the penalty is paid
.
EXAMPLE 2: Taxpayer's
Retailers' Occupation Tax return for the November 1993 liability period
was due December 20, 1993
. The return was filed and
tax was paid on May 25, 1994.
Interest is charged on
the tax due
at the 1.25% per month or fraction of month rate from
December 21, 1993 to December 31, 1993 (see
ROTA
Section 5, prior to amendment by P.A. 87-205)
and at the semiannually
adjusted daily rate imposed pursuant to the UPIA and this Part from January 1,
1994 through May 25, 1994, the date the tax was paid. No interest is charged
on the penalty assessed since the due date of the tax was before the effective
date of the UPIA.
EXAMPLE 3: Taxpayer's
accelerated payments of the Public Utilities Tax were due on the 7
th
,
15
th
, 22
nd
and 31
st
of January 1994. Each
payment should have been $3,000. Taxpayer did not make the payment due on
January 31, but paid the $3,000 with the monthly return that was filed, when
due, on February 15, 1994. The taxpayer will be charged a 15% late payment penalty
under UPIA Section 3-3(b) because the last accelerated payment was not paid
when due.
Interest is charged on the $3,000 late
payment
from February 1, 1994 through February 15, 1994, when the
payment was received, and on the
penalty from
February 1, 1994 through the date the penalty is paid
.
EXAMPLE 4:
Corporation filed its calendar 1993 income tax return
on March 15, 1994,
the unextended due date
.
The corporation was liable for, but did not make, any estimated payments for
the taxable year. The tax liability reported on the return was paid in full
when the return was filed. Interest on the penalty for failure
to make timely estimated tax payments accrues from March
15, 1994 through the date the penalty is paid
.
EXAMPLE 5:
Corporation filed its calendar 1993 income tax return
on March 15, 1994, the unextended due date. The corporation properly made all
estimated payments and paid the remainder of its tax liability when the return
was filed. In 1997 an audit was completed on the corporation's 1993 return and
additional liability was proposed. The corporation agreed to the audit results
but did not pay the liability until 35 days after the Notice and Demand for
payment was issued. A late payment penalty was assessed on the audit liability
under UPIA Section 3-3(b) and interest accrues on the penalty from March 15,
1994 through the date the penalty is paid.