I have a client who filed his 2010 partnership return late. The IRS sent him a letter with assessed late filling penalties ($195 per month multiplied by number of partners). Under IRC 6231(a)(1)(B), the partnership meets all the test for abatement of the penalties, except the one that personal returns were TIMELY filed. In fact, personal returns were filed late as well. Partnership didn't have a profit in 2010, so no tax was due on the personal returns related to the K-1 information.
Is there any way to waive these penalties even if personal returns were not timely filed?
As always, thank you for your help.
nk
Is there any way to waive these penalties even if personal returns were not timely filed?
As always, thank you for your help.
nk
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