Description of Tax Penalties: Scheduled for a Public Hearing Before the Subcommittee on Private Retirement Plans and Oversight of the Internal Revenue Service of the Senate Committee on Finance on March 14, 1988 (Classic Reprint)
Description of Tax Penalties: Scheduled for a Public Hearing Before the Subcommittee on Private Retirement Plans and Oversight of the Internal Revenue Service of the Senate Committee on Finance on March 14, 1988 (Classic Reprint)
Excerpt from Description of Tax Penalties: Scheduled for a Public Hearing Before the Subcommittee on Private Retirement Plans and Oversight of the Internal Revenue Service of the Senate Committee on Finance on March 14, 1988 Other developments in the Code, unrelated to the negligence and fraud penalties, have had an impact on the development of penal ties. For example, during the 1980's a number of detailed informa tion reporting requirements have been added to the Code. These in formation reporting requirements were added ...
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Excerpt from Description of Tax Penalties: Scheduled for a Public Hearing Before the Subcommittee on Private Retirement Plans and Oversight of the Internal Revenue Service of the Senate Committee on Finance on March 14, 1988 Other developments in the Code, unrelated to the negligence and fraud penalties, have had an impact on the development of penal ties. For example, during the 1980's a number of detailed informa tion reporting requirements have been added to the Code. These in formation reporting requirements were added to improve compli ance and the ability of the irs to verify compliance with the tax laws. As the information reporting structure became more detailed, so did the parallel penalty structure. The administration of the tax laws by the executive branch and the courts also has had an impact on the development of penalties. Relatively few prosecutions are undertaken each year for criminal fraud.45 This increases reliance on the civil fraud penalty. Also, the difficulties experienced by both the irs and the courts in ad ministering fault-based penalties, such as negligence and fraud, led to the development of no-fault penalties. Another administrative development that, at least indirectly, increased the number of, and level of specificity in, penalties been the increased difficulties experienced by the irs and Treas ury in promulgating guidance on the tax laws. For example, there has been a substantial backlog in issuing regulations during this entire decade. The resulting delay in providing administrative guidance often makes it desirable, when possible, to provide as much guidance as possible in the statute, thereby increasing the detail in penalty provisions (as well as tax provisions generally). About the Publisher Forgotten Books publishes hundreds of thousands of rare and classic books. Find more at ... This book is a reproduction of an important historical work. Forgotten Books uses state-of-the-art technology to digitally reconstruct the work, preserving the original format whilst repairing imperfections present in the aged copy. In rare cases, an imperfection in the original, such as a blemish or missing page, may be replicated in our edition. We do, however, repair the vast majority of imperfections successfully; any imperfections that remain are intentionally left to preserve the state of such historical works.
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