Question
(1) Taxpayers face the risk of the 20% accuracy-related penalty when they take return positions that are too aggressive or otherwise problematic... (a) Section 6662
(1) Taxpayers face the risk of the 20% accuracy-related penalty when they take return positions that are too aggressive or otherwise problematic...
(a) Section 6662 itself contains no escape mechanisms whatsoever, so a tax-payers only available defense against the penalty is good faith and reasonable cause per 6664(c).
(b) Section 6662 contains two stated triggers, negligence and substantial understatement, and the IRS cannot assert the penalty unless both are present.
(c) Unless a taxpayer ultimately wins with respect to the underlying tax issue(s) (the asserted tax deficiency), it is impossible to win on the penalty issue.
(d) If a taxpayer does win with respect to the underlying tax issue(s), the penalty assertion becomes moot.
Step by Step Solution
There are 3 Steps involved in it
Step: 1
Get Instant Access to Expert-Tailored Solutions
See step-by-step solutions with expert insights and AI powered tools for academic success
Step: 2
Step: 3
Ace Your Homework with AI
Get the answers you need in no time with our AI-driven, step-by-step assistance
Get Started