Tag: reliance on tax professional advice
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IRC Section 6662 Penalties: Why Reasonable Cause Might Be Your Best Defense
The accuracy-related penalty under section 6662 is not automatic. The reasonable cause and good faith exception under section 6664(c) can remove it, but the taxpayer must prove it with evidence. This piece explains what the standard requires, why hiring a preparer alone does not satisfy it, and why documentation timing matters.