Tax Preparer Penalties – Which is the correct probability?

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  • #191926
    Anonymous
    Inactive

    Hi,

    I’m reviewing Ethics and getting a little confused with regards to tax preparer penalties and the corresponding probabilities.

    I thought that a preparer was subject to a $1,000 or 50% penalty for an understatement of a liability due to an undisclosed position where there is not a reasonable belief that the position would more likely than not (> 50% probability) be sustained. However, I’ve recently seen “more likely than not” replaced with “realistic possibility,” which to me implies ≈ 33% probability. Has anyone come across this discrepancy or know which one is correct?

    Also, a separate but related question – I know the penalty can be avoided with adequate disclosure and showing reasonable basis (≈20%), but where else do these probabilities apply? Are there other rules/situations that use the “more likely than not (>50%), substantial authority (≈40%), realistic possibility (≈33%), and reasonable basis (≈20%)” probabilities?

    Thanks!

Viewing 3 replies - 1 through 3 (of 3 total)
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  • #647400
    Tux
    Member

    What study materials are you using? I'm using Becker.

    I see the Penalty for understatement of taxpayer liability is $1,000 or 50% of the income received by the preparer for tax preparation services.

    This penalty is imposed if:

    a – there is no reasonable basis that the position would be sustained based on its merit

    b – the preparer knew or should have known about the unreasonable position

    c – disclosure of the position was not made

    and

    d – the position lacks “reasonable basis”

    If a “reasonable basis” for the understatement exists and the preparer acted in good faith, the penalty will not apply.

    Basically, all of the above is saying that you only need 20% chance or greater that the position will be sustained. NOT greater than 50%

    To address your 2nd question –

    Becker only provides 3 categories of likelihood –

    greater than 50% = more likely than not

    33%-50% = substantial authority

    greater than 20% = reasonable basis

    I'm not familiar with “realistic possibility”.

    Where did you see this term used interchangeably with “more likely than not”?

    Based on the description you provided, I understand how that would be confusing.

    I don't believe they are to be used interchangeably.

    FAR - 86 - 2/27/14
    AUD - 75 - 5/29/14
    BEC - 80 - 8/31/14
    REG - 89 - 2/27/15
    Praise Jesus! I'm done!!

    Study resources:
    Becker
    Wiley test bank

    #647401
    Anonymous
    Inactive

    @Tux, thanks for the reply. I'm using Roger CPA and Ninja MCQ. I think I'll just stick to what you provided and flag it as a something to be aware of.

    #647402
    Tux
    Member

    OK. I came across some notes that refer to reasonable possibility –

    It seems to only be used regarding disclosure of a position….

    And it refers to at least 33% likelihood that position will be upheld.

    If a position has less than 20% chance of being upheld, then it is frivolous and should not be taken at all.

    If a position has between 20%-33% chance of being upheld, then it must be disclosed.

    If a position as greater than 33% chance of being upheld, then it does NOT need to be disclosed.

    Exception – a position regarding a tax shelter requires greater than 50% chance of being upheld.

    I don't know what rule applies regarding disclosure of a tax shelter ??????

    FAR - 86 - 2/27/14
    AUD - 75 - 5/29/14
    BEC - 80 - 8/31/14
    REG - 89 - 2/27/15
    Praise Jesus! I'm done!!

    Study resources:
    Becker
    Wiley test bank

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