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TREASURY REGULATIONS


Index  » Subchapter A  » Reg. 1.6664-0

Reg. 1.6664-0
Table of contents

January 14, 2024


§ 1.6662-7 « Browse » § 1.6664-1

See related I.R.C. 6664

Treas. Reg. § 1.6664-0.  Table of contents

This section lists the captions in §§ 1.6664-1 through 1.6664-4T.

§ 1.6664-1 Accuracy-related and fraud penalties; definitions and special rules.

(a) In general.

(b) Effective date.

(1) In general.

(2) Reasonable cause and good faith exception to section 6662 penalties.

(i) For returns due after September 1, 1995.

(ii) For returns filed after December 31, 2002.

(3) Qualified amended returns.

§ 1.6664-2 Underpayment.

(a) Underpayment defined.

(b) Amount of income tax imposed.

(c) Amount shown as the tax by the taxpayer on his return.

(1) Defined.

(2) Effect of qualified amended return.

(3) Qualified amended return defined.

(i) General rule.

(ii) Undisclosed listed transactions.

(4) Special rules.

(5) Examples.

(d) Amounts not so shown previously assessed (or collected without assessment).

(e) Rebates.

(f) Underpayments for certain carryback years not reduced by amount of carrybacks.

(g) Examples.

§ 1.6664-3 Ordering rules for determining the total amount of penalties imposed.

(a) In general.

(b) Order in which adjustments are taken into account.

(c) Manner in which unclaimed prepayment credits are allocated.

(d) Examples.

§ 1.6664-4 Reasonable cause and good faith exception to section 6662 penalties.

(a) In general.

(b) Facts and circumstances taken into account.

(1) In general.

(2) Examples.

(c) Reliance on opinion or advice.

(1) Fact and circumstances; minimum requirements.

(i) All facts and circumstances considered.

(ii) No unreasonable assumptions.

(iii) Reliance on the invalidity of a regulation.

(2) Advice defined.

(3) Cross-reference.

(d) Underpayments attributable to reportable transactions.

(e) Pass-through items.

(f) Special rules for substantial understatement penalty attributable to tax shelter items of corporations.

(1) In general; facts and circumstances.

(2) Reasonable cause based on legal justification.

(i) Minimum requirements.

(A) Authority requirement.

(B) Belief requirement.

(ii) Legal justification defined.

(3) Minimum requirements not dispositive.

(4) Other factors.

(g) Transactions between persons described in section 482 and net section 482 transfer price adjustments. [Reserved]

(h) Valuation misstatements of charitable deduction property.

(1) In general.

(2) Definitions.

(i) Charitable deduction property.

(ii) Qualified appraisal.

(iii) Qualified appraiser.

(3) Special rules.

§ 1.6664-4T Reasonable cause and good faith exception to section 6662 penalties

(a)-(c) [Reserved]

(d) Transactions between persons described in section 482 and net section 482 transfer price adjustments.


[T.D. 8381, 56 FR 67505, Dec. 31, 1991, as amended by T.D. 8519, 59 FR 4799, Feb. 2, 1994; T.D. 8617, 60 FR 45666, Sept. 1, 1995; T.D. 8656, 61 FR 4885, Feb. 9, 1996; T.D. 8790, 63 FR 66435, Dec. 2, 1998; T.D. 9109, 68 FR 75128, Dec. 30, 2003; T.D. 9309, 72 FR 903, Jan. 9, 2007]
 

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