96-28558. Definition of Reasonable Basis  

  • [Federal Register Volume 61, Number 219 (Tuesday, November 12, 1996)]
    [Proposed Rules]
    [Pages 58020-58022]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 96-28558]
    
    
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    DEPARTMENT OF THE TREASURY
    
    Internal Revenue Service
    
    26 CFR Part 1
    
    [IA-42-95]
    RIN 1545-AU38
    
    
    Definition of Reasonable Basis
    
    AGENCY: Internal Revenue Service (IRS), Treasury.
    
    ACTION: Notice of proposed rulemaking and notice of public hearing.
    
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    SUMMARY: This document contains proposed regulations relating to the 
    accuracy-related penalty regulations under chapter 1 of the Internal 
    Revenue Code. These amendments are necessary to define reasonable basis 
    and provide corrections to final regulations relating to the accuracy-
    related penalty under chapter 1 of the Internal Revenue Code. The 
    proposed regulations would affect all taxpayers who file tax returns. 
    This document also provides notice of a public hearing on these 
    proposed regulations.
    
    DATES: Written or electronically generated comments must be received by 
    February 10, 1997. Outlines of topics to be discussed at the public 
    hearing scheduled for February 25, 1997, must be received by February 
    4, 1997.
    
    ADDRESSES: Send submissions to: CC:DOM:CORP:R (IA-42-95), room 5226, 
    Internal Revenue Service, POB 7604, Ben Franklin Station, Washington, 
    DC 20044. In the alternative, submissions may be hand delivered between 
    the hours of 8 a.m. and 5 p.m. to: CC:DOM:CORP:R (IA-42-95), Courier's 
    Desk, Internal Revenue
    
    [[Page 58021]]
    
    Service, 1111 Constitution Avenue NW., Washington, DC., or 
    electronically, via the IRS Internet site at: http://
    www.irs.ustreas.gov/prod/tax_regs/comments.html. The public hearing 
    will be held in room 3313, Internal Revenue Building, 1111 Constitution 
    Avenue NW., Washington, DC.
    
    FOR FURTHER INFORMATION CONTACT: Concerning the regulations, Nancy 
    Romano, 202-622-6232 (not a toll-free number). Concerning submissions 
    and the public hearing, Michael L. Slaughter, 202-622-7190 (not a toll-
    free number).
    
    SUPPLEMENTARY INFORMATION:
    
    Background
    
        On September 1, 1995, the IRS issued Treasury Decision 8617 (60 FR 
    45663), setting forth final regulations relating to the accuracy-
    related penalty under chapter 1 of the Internal Revenue Code. These 
    regulations provided guidance concerning the reasonable basis standard 
    for purposes of the negligence penalty (section 6662(b)(1)) and for 
    purposes of the disclosure exception to the penalties for disregarding 
    rules or regulations (section 6662(b)(1)) and substantial 
    understatement of income tax (section 6662(b)(2)). In the preamble to 
    the final regulations, Treasury requested comments and suggestions on 
    providing further guidance on the reasonable basis standard. Treasury 
    has not received any additional comment letters in response to this 
    request for comments. Previous comments that were addressed in the 
    preamble to the final regulations published on September 1, 1995 have 
    been considered in drafting these proposed regulations.
    
    Explanation of Provision
    
        Under the final regulations currently in place, the reasonable 
    basis standard is ``significantly higher than the not frivolous 
    standard applicable to preparers under 6694.'' These proposed 
    regulations provide that the reasonable basis standard is not satisfied 
    by a return position that is merely arguable or that is merely a 
    colorable claim. A return position will generally satisfy the 
    reasonable basis standard if it is reasonably based on one or more of 
    the authorities set forth in Sec. 1.6662-4(d)(3)(iii) (taking into 
    account the relevance and persuasiveness of the authorities, and 
    subsequent developments). Additionally, the proposed regulations 
    clarify that if a return position does not satisfy the reasonable basis 
    standard, the reasonable cause and good faith exception as set forth in 
    Sec. 1.6664-4 may still provide relief from the penalty.
    
    Special Analyses
    
        It has been determined that this notice of proposed rulemaking is 
    not a significant regulatory action as defined in EO 12866. Therefore, 
    a regulatory assessment is not required. It also has been determined 
    that section 553(b) of the Administrative Procedure Act (5 U.S.C. 
    chapter 5) and the Regulatory Flexibility Act (5 U.S.C. chapter 6) do 
    not apply to these regulations, and, therefore, a Regulatory 
    Flexibility Analysis is not required. Pursuant to section 7805(f) of 
    the Internal Revenue Code, this notice of proposed rulemaking will be 
    submitted to the Chief Counsel for Advocacy of the Small Business 
    Administration for comment on its impact on small business.
    
    Comments and Public Hearing
    
        Before these proposed regulations are adopted as final regulations, 
    consideration will be given to any comments that are submitted timely 
    (in the manner described under the ADDRESSES caption) to the IRS. All 
    comments will be available for public inspection and copying.
        A public hearing has been scheduled for February 25, 1997, at 10 
    a.m., in room 3313, Internal Revenue Building, 1111 Constitution Avenue 
    NW., Washington, DC. Because of access restrictions, visitors will not 
    be admitted beyond the building lobby more than 15 minutes before the 
    hearing starts.
        The rules of 26 CFR 601.601(a)(3) apply to the hearing.
        Persons that wish to present oral comments at the hearing must 
    submit written or electronically generated comments (in the manner 
    described under the ADDRESSES caption) by February 10, 1997 and submit 
    an outline of the topics to be discussed and the time devoted to each 
    topic by February 4, 1997.
        A period of 10 minutes will be allotted to each person for making 
    comments.
        An agenda showing the scheduling of speakers will be prepared after 
    the deadline for receiving outlines has passed. Copies of the agenda 
    will be available free of charge at the hearing.
    
    Drafting Information
    
        The principal author of these regulations is Robert J. Fitzpatrick, 
    formerly of the Office of the Assistant Chief Counsel (Income Tax & 
    Accounting), IRS. However, other personnel from the IRS and Treasury 
    Department participated in their development.
    
    List of Subjects in 26 CFR Part 1
    
        Income taxes, Reporting and recordkeeping requirements.
    
    Proposed Amendments to the Regulations
    
        Accordingly, 26 CFR part 1 is proposed to be amended as follows:
    
    PART 1--INCOME TAXES
    
        Paragraph 1. The authority citation for part 1 continues to read in 
    part as follows:
    
        Authority: 26 U.S.C. 7805 * * *
    
        Par. 2. Section 1.6662-0 is amended by:
        1. Revising the entry for Sec. 1.6662-2.
        2. Removing the entries for Secs. 1.6662-3(b)(3) (i) and (ii).
        3. Revising the entry for Sec. 1.6662-7(d).
        4. Removing the entries for Secs. 1.6662-7(d) (1) and (2).
        The amendments and revisions read as follows:
    
    
    Sec. 1.6662-0  Table of contents.
    
    * * * * *
    
    
    Sec. 1.6662-2  Accuracy-related penalty.
    
    * * * * *
    
    
    Sec. 1.6662-7  Omnibus Budget Reconciliation Act of 1993 changes to the 
    accuracy-related penalty.
    
    * * * * *
        (d) Reasonable basis.
    * * * * *
        Par. 3. Section Sec. 1.6662-3 is amended by:
        1. Revising the third sentence in paragraph (b)(1) introductory 
    text.
        2. Revising paragraph (b)(3).
        The revisions read as follows:
    
    
    Sec. 1.6662-3  Negligence or disregard of rules or regulations.
    
    * * * * *
        (b) * * * (1) * * * A return position that has a reasonable basis 
    as defined in paragraph (b)(3) of this section is not attributable to 
    negligence. * * *
    * * * * *
        (3) Reasonable basis. Reasonable basis is a relatively high 
    standard of tax reporting, that is, significantly higher than not 
    frivolous or not patently improper. The reasonable basis standard is 
    not satisfied by a return position that is merely arguable or that is 
    merely a colorable claim. If a return position is reasonably based on 
    one or more of the authorities set forth in Sec. 1.6662-4(d)(3)(iii) 
    (taking into account the relevance and persuasiveness of the
    
    [[Page 58022]]
    
    authorities, and subsequent developments), the return position will 
    generally satisfy the reasonable basis standard even though it may not 
    satisfy the substantial authority standard as defined in Sec. 1.6662-
    4(d)(2). In addition, the reasonable cause and good faith exception, as 
    set forth in Sec. 1.6664-4, may provide relief from the penalty, even 
    if a return position does not satisfy the reasonable basis standard.
    * * * * *
        Par. 4. In Sec. 1.6662-4, the second sentence in paragraph (d)(2) 
    is revised to read as follows:
    
    
    Sec. 1.6662-4  Substantial understatement of income tax.
    
    * * * * *
        (d) * * *
        (2) * * * The substantial authority standard is less stringent than 
    the more likely than not standard (the standard that is met when there 
    is a greater than 50-percent likelihood of the position being upheld), 
    but more stringent than the reasonable basis standard as defined in 
    Sec. 1.6662-3(b)(3). * * *
    * * * * *
        Par. 5. In 1.6662-7, paragraph (d) is revised to read as follows:
    
    
    Sec. 1.6662-7  Omnibus Budget Reconciliation Act of 1993 changes to the 
    accuracy-related penalty.
    
    * * * * *
        (d) Reasonable basis. For purposes of Secs. 1.6662-3(c) and 1.6662-
    4 (e) and (f) (relating to methods of making adequate disclosure), the 
    provisions of Sec. 1.6662-3(b)(3) apply in determining whether a return 
    position has a reasonable basis.
        Par. 6. Section 1.6664-0 is amended by:
        1. Revising the entry for paragraph (c)(2) of Sec. 1.6664-4.
        2. Removing the entries for paragraphs (c)(1)(iii), (c)(2)(i), and 
    (c)(2)(ii) of Sec. 1.6664-4.
        The revision reads as follows:
    
    
    Sec. 1.6664-0  Table of contents.
    
    * * * * *
    
    
    Sec. 1.6664-4  Reasonable cause and good faith exception to section 
    6662 penalties.
    
    * * * * *
        (c) * * *
        (2) Advice defined.
    * * * * *
    Margaret Milner Richardson,
    Commissioner of Internal Revenue.
    [FR Doc. 96-28558 Filed 11-8-96; 8:45 am]
    BILLING CODE 4830-01-U
    
    
    

Document Information

Published:
11/12/1996
Department:
Internal Revenue Service
Entry Type:
Proposed Rule
Action:
Notice of proposed rulemaking and notice of public hearing.
Document Number:
96-28558
Dates:
Written or electronically generated comments must be received by February 10, 1997. Outlines of topics to be discussed at the public hearing scheduled for February 25, 1997, must be received by February 4, 1997.
Pages:
58020-58022 (3 pages)
Docket Numbers:
IA-42-95
RINs:
1545-AU38: Definition of Reasonable Basis
RIN Links:
https://www.federalregister.gov/regulations/1545-AU38/definition-of-reasonable-basis
PDF File:
96-28558.pdf
CFR: (8)
26 CFR 1.6662-3(b)(3)
26 CFR 1.6662-0
26 CFR 1.6662-2
26 CFR 1.6662-3
26 CFR 1.6662-4
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