Proposed Regulations Issued on Failure to Disclose Reportable Transaction Penalty Taking Into Account 2010 Law Change
The IRS has issued proposed regulations (REG-103033-11) that would provide guidance on the application of the failure to disclose a reportable transaction penalty found in IRC §6707A.
Generally a taxpayer who participates in a reportable transaction must disclose such participation on any return affected by the transaction in question under IRC §6011. A taxpayer who fails to make such a required disclosure (generally on a Form 8886) is subject to a penalty.
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