The IRS has offered penalty and filing relief to many subject to the new transition tax on foreign earnings. They recently updated the frequently asked questions (FAQ) area on their Tax Reform page, with it now outlining relief for certain taxpayers with regard to the IRC Sec. 965 transition tax.
There is important estimated tax penalty relief that is needed for taxpayers that had planned to apply 2017 overpayments to their 2018 estimated taxes, as the IRS has first applied any 2017 overpayment to the Sec. 965 transition tax (and not 2018 estimated taxes). Impacted taxpayers need to catch up their 2018 estimated tax payments to avail themselves of the penalty relief.
For individual taxpayers who:
The IRS will waive the late-payment penalty if the installment is paid in full by April 15, 2019. This relief is only available if the individual’s total transition tax liability is less than $1 million. Lastly, Individuals who have already filed a 2017 return without electing to pay the transition tax in eight annual installments can still make the election by filing a 2017 Form 1040X the IRS. The amended Form 1040 must be filed by October 15, 2018.
To read the full guidance provided by the IRS, feel free to visit the IRS Tax Reform page. If you have any questions, please don’t hesitate to contact Erich Pugh, Redpath’s International Tax Practice leader.
Erich is a director and leads Redpath’s International Tax Practice. He provides international tax planning services to public and private companies with international operations. He helps clients with the structuring of acquisitions and dispositions, entering into new markets, repatriation planning, foreign tax credit planning, legal entity rationalization and restructuring, transfer pricing, international tax compliance and both US and non-US tax audits. Erich is a frequent speaker and has published international tax articles in such publications as International Tax Review, Tax Notes International, The Tax Advisor and Internationale Wirtschafts Briefe (Germany’s leading international tax publication).More posts by Erich Pugh