Could anyone tell me where in the IRC it states unequivocally, that the Failure to Pay penalty may not be abated for reasonable cause, if the tax remains unpaid?
Client requested abatement: wife died. IRS accepts that there is reasonable cause, but rejects the request because the tax is not paid.. Section 6651- read it backwards & forwards - nothing about this.
Thanks.
PS: I realise that looking for an unequivocal statement in the Code may be a fool's errand!
Client requested abatement: wife died. IRS accepts that there is reasonable cause, but rejects the request because the tax is not paid.. Section 6651- read it backwards & forwards - nothing about this.
Thanks.
PS: I realise that looking for an unequivocal statement in the Code may be a fool's errand!
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