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Penalty Games: Reducing IRS Penalties Presenter(s): Robert E. McKenzie Arnstein & Lehr LLP Chicago, IL Website: www.mckenzielaw.com Date: Time: 2:00-4:00PM.

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Presentation on theme: "Penalty Games: Reducing IRS Penalties Presenter(s): Robert E. McKenzie Arnstein & Lehr LLP Chicago, IL Website: www.mckenzielaw.com Date: Time: 2:00-4:00PM."— Presentation transcript:

1 Penalty Games: Reducing IRS Penalties Presenter(s): Robert E. McKenzie Arnstein & Lehr LLP Chicago, IL Website: www.mckenzielaw.com Date: Time: 2:00-4:00PM Eastern

2 2 Origins TP files w/o payment TP audited TP loses in Tax Court TP fails to file and IRS prepares a substitute for Return (SFR)

3 3 Filed Return IRS receives return w/o payment and sends a bill in about 5 weeks Bill includes penalties and interest Rate dropped to 3% in October, 2011

4 Bad Checks 4 The 2% penalty for bad checks or money orders increases to a minimum of $25 applicable to checks or money orders.

5 FAILURE TO FILE TAX RETURN 5 5%: Max 25% 4.5% if FTP applied: Max 22.5% Coordination between FTF and FTP Penalty Rates Minimum Failure to File: The lesser of: $100.00 or 100 percent of the amount required to be shown as tax on the return. After 2008 penalty increased to $135.

6 Failure to Pay Tax (FTP) 5%: Max 25% 1% after Sec. 6331 Notice: Max 25%.25% after acceptance of an installment agreement: 8.5%

7 PENALTY COMPUTATION Example 1 Failure to File and Failure to Pay Form 1040 Return Due Date (041599) - Tax year 1998 Code Date Received Amount Comments TC 150 122699 $1,753.00 Amount of tax on return TC610 112199 $953.00 Payment received with the return TC660 061798 $800.00 Estimated tax payment

8 PENALTY COMPUTATION $ 953.00 x.045 $ 42.89 Amount per month x 5 Number of months $214.45 Failure to file penalty

9 PENALTY COMPUTATION $ 953.00 X.005 $ 4.77 Amount per month x 8 Number of months $ 38.16 Failure to pay penalty $ 214.45 FTF + 38.16 FTP $ 252.61 Total penalty

10 Fraudulent Failure to File 15% per month Max 75%

11 FAILURE TO DEPOSIT PENALTY ⋅ 2 percent for deposits 1-5 days late, ⋅ 5 percent for deposits 6-15 days late, ⋅ 10 percent for all direct payments and those deposits made more than 15 days late, but paid on or before the 10th day following notice and demand. ⋅ 15 percent (actually, a 5 percent addition to the 10 percent for late payment above for all undeposited taxes still unpaid after the 10th day following the first balance due notice or the day on which notice and demand for immediate payment is given

12 Cascading Penalties IRC Sec. 6656 Right to direct payments to timely deposits IRS computer uses an unfair system Example:  Company owes weekly deposit of $10,000  Misses first deposit  Pays remainder of deposits on time  IRS applies each deposit to the prior week  5% penalty on $120,000 = $6,000  10% penalty on one deposit of $10,000 = $1,000  Total penalty $7,000

13 Cascading Failure to Deposit Penalty Correction: One late $10,000 deposit = $1,000 NET SAVINGS: $6,000

14 REASONABLE CAUSE Any reason that establishes a taxpayer exercised ordinary business care and prudence but was unable to comply with the tax law may be considered for penalty relief.

15 Ordinary Business Care and Prudence Ordinary Ordinary business care and prudence includes making provision for business obligations to be met when reasonably foreseeable events occur. Facts and circumstances showing the taxpayer exercised ordinary business care and prudence (taking that degree of care that a reasonably prudent person would exercise), but nevertheless was unable to comply with the law

16 Reasons for Penalty Relief Although the IRM provides: “When considering the information provided in the following subsections, remember that an acceptable explanation is not limited to those given in IRM 20.1. Penalty relief may be warranted based on an "other acceptable explanation," provided the taxpayer exercised ordinary business care and prudence but was nevertheless unable to comply within the prescribed time.” See IRM 20.1.1.3.2.2, Ordinary Business Care and Prudence. Your chance of prevailing is better if you cite to one of there favorite reasons

17 REASONABLE CAUSE Death, Serious Illness, or Unavoidable Absence Pg. 14 Fire, Casualty, Natural Disaster, or Other Disturbance Pg. 15 Unable to Obtain Records Pg. 16 Mistake was Made Pg. 16 Erroneous Advice or Reliance Pg. 17 Ignorance of the Law Pg. 18 Forgetfulness Pg. 18 Statutory Exceptions or Waivers Pg. 19

18 Statutory Exceptions

19 REASONABLE CAUSE Undue Hardship Pg. 23 Written Advice From IRS Pg. 26 Oral Advice From IRS Pg. 26 Advice from a Tax Advisor Pg. 27 Official Disaster Area Pg. 28 Service Error Pg.28

20 Reasonable Cause Assistant When you request reasonable cause relief IRS personnel use a computer program: Reasonable Cause Assistant (RCA) to determine if relief is appropriate. Pg. 28 RCA relies on the skill set of the person completing the computer generated questionnaire. You can enhance your clients chances of prevailing by citing to the IRM & concisely setting forth the facts of your case because it will reduce the chances of operator error.

21 First Time Abatement RCA provides an option for penalty relief for the FTF, FTP, and/or FTD penalties if the taxpayer has not previously been required to file a return or if no prior penalties (except the Estimated Tax Penalty, TC 17X) have been assessed on the same MFT This First-time Abate (FTA) aspect is an Administrative Waiver and does not carry any Oral Statement Authority (OSA) dollar threshold. The FTA Administrative Waiver can only apply to a single tax period for a given MFT. For example, if a request for penalty relief is being considered for 2 or more tax periods on the same MFT and the earliest tax period meets FTA criteria, penalty relief based on FTA only applies to the earliest tax period, not all tax periods being considered. Penalty relief for all subsequent tax periods will be based on the showing of reasonable cause (and absence of willful neglect).

22 Abatement Request Submit separate for each period Ask for abatement based upon reasonable cause in first paragraph Statement of facts Law Discussion Conclusion

23 Sec. 6404 Suspension of P&I. The time period where IRS suspends charging P&I until a taxpayer has been notified of the additional tax is extended from the current 18 months to 36 months effective for notices after November 25, 2007 Interest immediately after the IRS proposes a deficiency Exception: tax shelters

24 Thank you for participating in this webinar. Below is the link to the online survey and CPE quiz: http://webinars.nsacct.org/postevent.php?id=13529 http://webinars.nsacct.org/postevent.php?id=13529 Use your password for this webinar that is in your email confirmation. You must complete this survey and the quiz or final exam (for the recorded version) to qualify to receive CPE credit. National Society of Accountants 1010 North Fairfax Street Alexandria, VA 22314-1574 Phone: (800) 966-6679 members@nsacct.org


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