What Does The IRS Consider Ordinary Business Care For Abatement of Penalties Purposes?

January 21, 2010
Written by: steve

Ordinary Business Care and Prudence

  1. Ordinary business care and prudence includes making provisions for business obligations to be met when reasonably foreseeable events occur.  A taxpayer may establish reasonable cause by providing facts and circumstances showing that they exercised ordinary business care and prudence (taking that degree of care that a reasonably prudent person would exercise), but nevertheless were unable to comply with the law.
  2. In determining if the taxpayer exercised ordinary business care and prudence, review available information including the following:
    1. Taxpayer’s Reason. The taxpayers reason should address the penalty imposed. To show reasonable cause, the dates and explanations should clearly correspond with events on which the penalties are based. If the dates and explanations do not correspond to the events on which the penalties are based, request additional information from the taxpayer that may clarify the explanation
    2. Compliance History. Check the preceding tax years (at least three) for payment patterns and the taxpayers overall compliance history. The same penalty, previously assessed or abated, may indicate that the taxpayer is not exercising ordinary business care. If this is the taxpayers first incident of noncompliant behavior, weigh this factor with other reasons the taxpayer gives for reasonable cause, since a first- time failure to comply does not by itself establish reasonable cause.
    3. Length of Time. Consider the length of time between the event cited as a reason for the noncompliance and subsequent compliance. Consider: (1) when the act was required by law, (2) the period of time during which the taxpayer was unable to comply with the law due to circumstances beyond the taxpayers control, and (3) when the taxpayer complied with the law.
    4. Circumstances Beyond the Taxpayer’s Control. Consider whether or not the taxpayer could have anticipated the event that caused the noncompliance. Reasonable cause is generally established when the taxpayer exercises ordinary business care and prudence, but, due to circumstances beyond the taxpayers control, the taxpayer was unable to timely meet the tax obligation. The taxpayers obligation to meet the tax law requirements is ongoing. Ordinary business care and prudence requires that the taxpayer continue to attempt to meet the requirements, even though late.
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