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-IR- Database: Indiana Register

DEPARTMENT OF STATE REVENUE
18-20070323P.LOF

Letter of Findings Number: 07-0323P
Financial Institutions Tax
For the Tax Period 2005


NOTICE: Under IC § 4-22-7-7, this document is required to be published in the Indiana Register and is effective on its date of publication. It shall remain in effect until the date it is superseded or deleted by the publication of a new document in the Indiana Register. The publication of this document will provide the general public with information about the Department's official position concerning a specific issue.
ISSUE
I. Tax Administration–Negligence Penalties.
Authority: IC § 6-8.1-10-2.1; 45 IAC 15-11-2.
Taxpayer protests the imposition of negligence penalties for the Taxpayer's late payment and underpayment of financial institutions tax.
STATEMENT OF FACTS
Taxpayer is an Indiana taxpayer. Taxpayer claimed credits on its 2005 tax return for the carry forward of an overpayment of estimated taxes in a prior tax year. According to the Indiana Department of Revenue (Department) records, the Taxpayer's available credits were less than the Taxpayer claimed. Therefore, the Department issued a proposed assessment for tax, interest, and negligence penalties for the 2005 tax year. Taxpayer paid the assessment of tax and interest. However, Taxpayer requests abatement of the penalties.
I. Tax Administration– Negligence Penalties.
DISCUSSION
The Department issued a proposed assessment imposing negligence penalties for the Taxpayer's late payment and underpayment of financial institutions tax for the 2005 tax year. Taxpayer protests the imposition of the penalties. The Department refers to IC § 6-8.1-10-2.1(a)(3), which provides "if a person... incurs, upon examination by the department, a deficiency that is due to negligence... the person is subject to a penalty."
The Department also refers to 45 IAC 15-11-2(b), which states:
Negligence, on behalf of a taxpayer is defined as the failure to use such reasonable care, caution, or diligence as would be expected of an ordinary reasonable taxpayer. Negligence would result from a taxpayer's carelessness, thoughtlessness, disregard or inattention to duties placed upon the taxpayer by the Indiana Code or department regulations. Ignorance of the listed tax laws, rules and/or regulations is treated as negligence. Further, failure to read and follow instructions provided by the department is treated as negligence. Negligence shall be determined on a case by case basis according to the facts and circumstances of each taxpayer.
The Department may waive the negligence penalty as provided in 45 IAC 15-11-2(c), as follows:
The department shall waive the negligence penalty imposed under IC § 6-8.1-10-1 if the taxpayer affirmatively establishes that the failure to file a return, pay the full amount of tax due, timely remit tax held in trust, or pay a deficiency was due to reasonable cause and not due to negligence. In order to establish reasonable cause, the taxpayer must demonstrate that it exercised ordinary business care and prudence in carrying out or failing to carry out a duty giving rise to the penalty imposed under this section. Factors which may be considered in determining reasonable cause include, but are not limited to:
(1) the nature of the tax involved;
(2) judicial precedents set by Indiana courts;
(3) judicial precedents established in jurisdictions outside Indiana;
(4) published department instructions, information bulletins, letters of findings, rulings, letters of advice, etc.;
(5) previous audits or letters of findings concerning the issue and taxpayer involved in the penalty assessment.
Reasonable cause is a fact sensitive question and thus will be dealt with according to the particular facts and circumstances of each case.
Taxpayer has provided sufficient information to establish that its failure to pay the deficiency was not due to Taxpayer's negligence, but was due to reasonable cause as required by 45 IAC 15-11-2(c).
FINDING
Taxpayer's protest is sustained.

Posted: 10/01/2008 by Legislative Services Agency

DIN: 20081001-IR-045080725NRA
Composed: Apr 27,2024 2:07:27AM EDT
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