On November 3, 2020 we posted, New $25,000 Penalty for Not Reporting SMLLC with Foreign Owner Now Being Assessed by the IRS, we where we discussed that the IRS has now issued final regulations and they treat a domestic disregarded entity wholly owned by a foreign person as a domestic corporation separate from its owner, but only for the reporting, record maintenance and associated compliance requirements that apply to 25% foreign-owned domestic corporations under Code Sec. 6038A. and that for Tax Years beginning after December 31, 2017, the TCJA Act increased the late filed Form 5472 penalty to $25,000 From $10,000 for Each Return that must be filed.
We have had great success in requesting penalty abatements for these automatic late filed Form 5472 $25,000 penalty assessments!
We Can Help You Eliminate Your
$25,000 Late Filed Form 5472 Penalties
for $5,000 Per Penalty!
$25,000 Late Filed Form 5472 Penalties
for $5,000 Per Penalty!
Contact the Tax Lawyers at
Marini & Associates, P.A.
for a FREE Tax Consultation
at www.TaxAid.us or www.TaxLaw.ms
or Toll Free at 888-8TaxAid ( 888 882-9243 )
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