Internal Revenue Code (Title 26 U.S.C.)
26 U.S.C. § 6701
Penalties for aiding and abetting understatement of tax liability
# (a) Imposition of penalty
Any person— (1) who aids or assists in, procures, or advises with respect to, the preparation or presentation of any portion of a return, affidavit, claim, or other document, (2) who knows (or has reason to believe) that such portion will be used in connection with any material matter arising under the internal revenue laws, and (3) who knows that such portion (if so used) would result in an understatement of the liability for tax of another person, shall pay a penalty with respect to each such document in the amount determined under subsection (b).
# (b) Amount of penalty
(1) In general Except as provided in paragraph (2), the amount of the penalty imposed by subsection (a) shall be $1,000. (2) Corporations If the return, affidavit, claim, or other document relates to the tax liability of a corporation, the amount of the penalty imposed by subsection (a) shall be $10,000. (3) Only 1 penalty per person per period If any person is subject to a penalty under subsection (a) with respect to any document relating to any taxpayer for any taxable period (or where there is no taxable period, any taxable event), such person shall not be subject to a penalty under subsection (a) with respect to any other document relating to such taxpayer for such taxable period (or event).
# (c) Activities of subordinates
(1) In general For purposes of subsection (a), the term "procures" includes— (A) ordering (or otherwise causing) a subordinate to do an act, and (B) knowing of, and not attempting to prevent, participation by a subordinate in an act. (2) Subordinate For purposes of paragraph (1), the term "subordinate" means any other person (whether or not a director, officer, employee, or agent of the taxpayer involved) over whose activities the person has direction, supervision, or control.
# (d) Taxpayer not required to have knowledge
Subsection (a) shall apply whether or not the understatement is with the knowledge or consent of the persons authorized or required to present the return, affidavit, claim, or other document.
# (e) Certain actions not treated as aid or assistance
For purposes of subsection (a)(1), a person furnishing typing, reproducing, or other mechanical assistance with respect to a document shall not be treated as having aided or assisted in the preparation of such document by reason of such assistance.
# (f) Penalty in addition to other penalties
(1) In general Except as provided by paragraphs (2) and (3), the penalty imposed by this section shall be in addition to any other penalty provided by law. (2) Coordination with return preparer penalties No penalty shall be assessed under subsection (a) or (b) of section 6694 on any person with respect to any document for which a penalty is assessed on such person under subsection (a). (3) Coordination with section 6700 No penalty shall be assessed under section 6700 on any person with respect to any document for which a penalty is assessed on such person under subsection (a).
Source: view the official text
Nearby sections (25 sections)
- 6691 · [§6691. Reserved]
- 6692 · Failure to file actuarial report
- 6693 · Failure to provide reports on certain tax-favored accounts or…
- 6694 · Understatement of taxpayer's liability by tax return preparer
- 6695 · Other assessable penalties with respect to the preparation of…
- 6695A · Substantial and gross valuation misstatements attributable to…
- 6696 · Rules applicable with respect to sections 6694, 6695, and 6695A
- 6697 · [§6697. Repealed. Pub. L. 111–325, title V, §501(a), Dec. 22,…
- 6698 · Failure to file partnership return
- 6698A · [§6698A. Repealed. Pub. L. 96–223, title IV, §401(a), Apr. 2,…
- 6699 · Failure to file S corporation return
- 6700 · Promoting abusive tax shelters, etc.
- 6701 · Penalties for aiding and abetting understatement of tax liability
- 6702 · Frivolous tax submissions
- 6703 · Rules applicable to penalties under sections 6700, 6701, and 6702
- 6704 · Failure to keep records necessary to meet reporting requirements…
- 6705 · Failure by broker to provide notice to payors
- 6706 · Original issue discount information requirements
- 6707 · Failure to furnish information regarding reportable transactions
- 6707A · Penalty for failure to include reportable transaction…
- 6708 · Failure to maintain lists of advisees with respect to reportable…
- 6709 · Penalties with respect to mortgage credit certificates
- 6710 · Failure to disclose that contributions are nondeductible
- 6711 · Failure by tax-exempt organization to disclose that certain…
- 6712 · Failure to disclose treaty-based return positions