Even Though Statute Expired Under §4979A, Failure to File Form 5330 Meant Statute Remained Open Under §6501 to Assess Excise Tax on ESOP
In ruling on a motion for reconsideration in the case of Law Office of John H. Eggertsen, P.C. v. Commissioner, 143 TC No. 13 the Tax Court addressed the interaction of provisions governing the statute of limitations for the excise tax on prohibited allocations of employer securities in an ESOP imposed by IRC §4979A.
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