Contents :
ID: CCA 2011020911403641 Office: ----------------------------UILC: Number: 201109025 Release Date: 3/4/2011 3121.04-01 From: --------------Sent: Wednesday February 09 2011 11:40:38 AM To: ------------------------------------Cc: -----------------------------------------------Subject: RE: SS-8 & Interest Free Adjustments To close the loop here. I agree with -------- and think ---- has a good point as well To summarize The SS-8 determination will provide the date the error is discovered but the standard under the regs is when the error is ascertained. An error is ascertained when the TP has sufficient information to correct it. The X forms use the word discover rather than ascertain but the instructions clarify that a TP discovers an error when it has sufficient information to correct it. Accordingly the SS-8 determination will not always control the ascertain date (e.g. the TP may need to determine which EEs are similarly situated and/or go through records to get information to fill out the 941-X) though some TPs may have sufficient information at that point. In cases where the TP seeks a reconsideration because of additional facts or arguments that would be very relevant to the date the error is ascertained. As in all cases TP would need to be able to show when the error was ascertained for making the interest free adjustment. The Pub 4341 acknowledges that other facts can come into play when it says in most cases the date the error was discovered will be the date of our determination letter.
- Rating :
- Get Online Jobs!
- File Type : .pdf
- Length : 1 pages
- File Size: 72.2 kb
- Virus Tested : No
- Verified : 2012-08-06
- Source: apps2.irs.gov
INFO HASH : 3eb7f73c9e1865c73bd511b5715c181a7d25b735
blog comments powered by Disqus

Download now