📄 Extracted Text (302 words)
From: Richard Kahn
Sent: Thursday, March 10, 2016 2:11 PM
To: Jeffrey E.
Subject: tax filing penalty
Failure to File Penalty Increase
Post Date: 3/7/2016
Last Updated: 3/7/2016
Summary
Cross References
- IRC Section 6651
On February 24, 2016, the President signed into law H.R. 644, the Trade Facilitation and Trade Enforcement Act of 2015.
The law authorizes U.S. Customs and Border Protection to put in place tools to strengthen trade enforcement at the
border and facilitate the efficient movement of legitimate trade and travel. The law contains one amendment to the
Internal Revenue Code.
Under IRC section 6651, the failure to file penalty is equal to 5% of the amount of tax shown on the return if the failure
to file is for not more than one month, with an additional 5% for each additional month or fraction thereof during which
such failure continues, not to exceed 25% in the aggregate. If the tax return is more than 60 days late, the penalty is at
least the lesser of $135 or 100% of the amount required to be shown as tax on the return. If both the failure to file
penalty and the failure to pay penalty applies, the failure to file penalty is reduced by the amount of the failure to pay
penalty. In no case is there a late filing penalty if the taxpayer is due a refund.
New law. Effective for returns required to be filed in calendar years after 2015, the $135 minimum penalty amount is
increased to the lesser of $205 or 100% of the amount required to be shown as tax on the return. The new $205
minimum amount is indexed annually for inflation.
Richard Kahn
HBRK Associates Inc.
575 Lexington Avenue 4th Floor
New York, NY 10022
tel 212-971-1306
fax 646-350-0954
1
EFTA_R1_00153379
EFTA01806055
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