• Log In
  • Find a Tax Expert
  • 0Shopping Cart
Taxician
  • Home
  • About
  • Membership
    • Members
      • Members Benefit
      • Credentials
    • Start
  • Tax Topics
  • Contact
  • Menu Menu
  • Twitter
  • Facebook
  • LinkedIn
You are here: Home1 / footer2 / 20203 / October

IRS commissioner: Penalty relief will not be ‘blanket’

October 17, 2020/0 Comments/in Taxician News /by webdeveloper

The IRS’s response to the COVID-19 pandemic has included focused relief from tax penalties, but taxpayers and tax professionals should not expect a “blanket” approach, IRS Commissioner Charles Rettig told CPAs on Tuesday.

Rettig addressed penalties, among other pandemic recovery and longer-term priorities for the Service, during his address to the AICPA National Tax & Sophisticated Tax Online Conference. He was joined by other top IRS officials who described the activities and outlook of their operating divisions and offices.

“We took a look at global relief,” Rettig said, both from the viewpoint of struggling taxpayers and practitioners and the IRS’s own responsibilities under the law, and concluded that the Service rather should focus on specific procedures already available to taxpayers, including reasonable-cause defenses and the first-time abatement of penalties.

“We get it that you would like to have blanket relief,” Rettig said. “It is not going to happen, and I think if you were sitting in my chair or Chief Counsel Mike Desmond’s chair or others’ chairs, you would be able to look at it as we do.”

In a Nov. 5 letter to Rettig and David Kautter, Treasury assistant secretary for tax policy, the AICPA did not request “blanket relief” but rather advocated expedited and streamlined reasonable-cause penalty abatement processes for taxpayers affected by the coronavirus and for the IRS to provide specific examples of qualifying reasonable-cause abatement situations and a dedicated telephone line for taxpayers or their advisers to request coronavirus-related penalty relief. Edward Karl, AICPA vice president–Taxation, remarked: “This year, of all years, the IRS should provide relief for uncontrollable COVID-19 impacts. We are greatly disappointed to not have a favorable resolution at this time that could help unburden taxpayers.”

http://taxician.us/wp-content/uploads/2020/12/taxician_blog_3.jpg 905 1600 webdeveloper http://taxician.us/wp-content/uploads/2020/12/taxician-logo-2.png webdeveloper2020-10-17 19:01:372020-12-17 19:01:47IRS commissioner: Penalty relief will not be ‘blanket’

IRS doubles down on nondeductibility of PPP-funded expenses

October 17, 2020/0 Comments/in Taxician News /by webdeveloper

In guidance issued late on Wednesday, the IRS reiterated its position that taxpayers cannot claim a deduction for any otherwise deductible expense if the payment of the expense results in forgiveness of a Paycheck Protection Program (PPP) loan because the income associated with the forgiveness is excluded from gross income under the Coronavirus Aid, Relief, and Economic Security (CARES) Act, P.L. 116-136. The guidance came in the form of a revenue ruling (Rev. Rul. 2020-27), which addresses the issue of borrowers who pay expenses in 2020 but whose PPP loan is not forgiven until 2021, and a revenue procedure (Rev. Proc. 2020-51) that provides a safe harbor for PPP borrowers that have their loan forgiveness denied or who choose not to request loan forgiveness.

Under Section 1106(b) of the CARES Act, an eligible recipient of a covered PPP loan can receive forgiveness of indebtedness on the loan in an amount equal to the sum of payments made for the following expenses during the covered period beginning on the covered loan’s origination date: (1) payroll costs; (2) any payment of interest on any covered mortgage obligation; (3) any payment on any covered rent obligation; and (4) any covered utility payment. Section 1106(i) excludes from gross income any amount forgiven under the PPP.

In May, the IRS issued Notice 2020-32, providing that a taxpayer that receives a loan through the PPP is not permitted to deduct expenses that are normally deductible under the Code to the extent the payment of those expenses results in loan forgiveness under the CARES Act.

The CARES Act itself does not address whether deductions otherwise allowable under the Code for payments of eligible CARES Act Section 1106 expenses by a recipient of a covered loan are allowed if the covered loan is subsequently forgiven. The AICPA believes that the IRS’s interpretation denying deductions of expenses forgiven under the PPP program is contrary to Congress’s intent.

http://taxician.us/wp-content/uploads/2020/12/taxician_blog_2.jpg 905 1600 webdeveloper http://taxician.us/wp-content/uploads/2020/12/taxician-logo-2.png webdeveloper2020-10-17 19:01:092020-12-17 19:02:02IRS doubles down on nondeductibility of PPP-funded expenses

Lastest News

  • Centralized partnership audit regime changes proposedDecember 17, 2020 - 6:59 pm
  • Final rules coordinate Sec. 245A and Sec. 951ADecember 17, 2020 - 3:58 pm
  • Like-kind exchange rules define real property, incidental personal propertyDecember 17, 2020 - 3:57 pm
  • IP PINs to be available to all individuals in 2021December 17, 2020 - 3:55 pm
  • Expenses used for PPP loan forgiveness: Deductible or not?December 17, 2020 - 3:55 pm
  • AICPA and trade associations ask Congress to fix PPP loan deductibilityDecember 17, 2020 - 3:54 pm
  • Answering clients’ estate planning questions this DecemberDecember 17, 2020 - 3:52 pm
  • IRS finalizes qualified plan loan rollover rulesDecember 17, 2020 - 3:51 pm
  • Final rules govern disallowed transportation fringe benefitsDecember 17, 2020 - 3:50 pm
  • Temporary e-signature authorization for IRS forms extendedDecember 17, 2020 - 3:49 pm

CONNECT WITH US

Taxician is the nation’s leading community for anyone—from students and those beginning their tax professional journey to veterans with decades of experience.

CONNECT WITH US

Become a Member Contact Us
  • 1500 W Cypress Creek Rd, Fort Lauderdale, fl 33309

  • 954-306-2018

© Copyright - Taxician - Theme by GraphicLJ
Scroll to top