Revised Corporate Tax Shelter
Discussion Draft
February 14, 2001
Mr. Russ Sullivan
Chief Tax Counsel
Senate Finance Committee
United States Senate
203 Hart Office Building
Washington, DC 20510
Dear Mr. Sullivan:
We appreciate the opportunity to comment on the bipartisan revised staff discussion
draft of proposed tax shelter legislation that was released on October 5, 2000, by the
Senate Finance Committee majority and minority staffs (the "Draft"). This letter
is presented on behalf of the Section of Taxation. It has not been approved by the House
of Delegates or the Board of Governors of the American Bar Association and, accordingly,
should not be construed as representing the policy of the Association.
We compliment both staffs on the Draft and believe that it represents both a
substantial improvement to the prior draft released by the staffs on May 24, 2000, and a
significant contribution to the ongoing process of crafting appropriate legislation to
halt abusive corporate tax shelters. The Draft includes a number of provisions and
revisions that we suggested in our prior comment letter dated June 22, 2000, and a number
of provisions that we previously have advocated or supported in testimony before the
Senate Finance and House Ways & Means Committees and in correspondence. This letter
does not repeat those prior recommendations and supportive comments. We particularly
welcome the inclusion in the Draft of a separate penalty for failure to comply with the
disclosure requirements under section 6011 of the Internal Revenue Code of 1986, as
amended (the "Code"). We also applaud the elimination of the complex penalty
structure that appeared in the prior draft. The requirement of a process for approving the
assertion of penalties is similarly welcome. The remainder of this letter provides our
comments on provisions in the Draft that either are new or that differ from our prior
recommendations
We look forward to working with the staffs on these and any other issues related to the
Draft.
Sincerely,
Richard M. Lipton
Chair, Section of Taxation
cc: Mark Prater, Chief Tax Counsel, Senate Finance Committee
Lindy L. Paull, Chief of Staff, Joint Committee on Taxation
Issues Addressed
- Section 6662A: Penalty for Participation in an Abusive Tax Shelter Device
- Definition of Abusive Tax Shelter Device
- Minimum Tax Reduction Thresholds
- Amount of Penalty and Waiver Thereof
- Section 6662: Substantial Understatements of Participants in Tax
Shelters other than Abusive Tax Shelter Devices
- Section 6707A: Penalty for Failure to Include Tax Shelter Information
with Return
- Section 6701(a): Modifications of Penalties for Aiding and Abetting
Understatement of Tax Liability Involving Tax Shelters
- Section 6708(a): Failure to Maintain Lists
- Section 330(b): Regulation of Individuals Practicing before the
Department of Treasury
- No Penalty on Tax-Indifferent Parties
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