Internal Revenue Code Section 6021(a) gives the IRS broad authority to assess penalties for failing to file a form mandated by Section 6038(b) on which a company reports its foreign corporations, even though that authority isn’t spelled out, a government attorney told the D.C. Circuit on Wednesday.
Gov’t Atty Says IRS Has Authority For Failure-To-File Penalty
by usoftax_admin | Feb 14, 2024 | Tax News
