Cross References
- www.irs.gov
The IRS is aware that a small population of employers that reduced their tax deposits in
anticipation of claiming the sick and family leave credits, or employee retention credit,
may have received a notice stating there was a failure to deposit penalty applicable to the
Form 941 on which the credits were claimed. Under Notice 2020-22, employers claiming
the new tax credits may reduce their deposits throughout the tax period up to the amount
of the credit. However, in reporting the schedule of liabilities on Form 941, the reported
liabilities did not match the reduction in deposits for every pay date. In these situations,
they incurred a failure to deposit penalty on the difference in the reported liabilities and
the reduced deposits (in situations where deposits were reduced by the amount of the
anticipated credit(s) in excess of liability for the employer portion of social security for a
given pay date).
Although the IRS has taken steps to implement rules that prevent the failure to deposit penalty from incurring on employers reducing their deposits in anticipation of these
credits, the IRS has become aware some employers may still have inadvertently received
notice of the penalty. The IRS is taking actions to identify these employer accounts and
correct them as soon as possible. Employers that have recently received these notices do
not need to take additional actions at this time.
Failure to Deposit Penalty
Post Date: 8/25/20 |
Last Updated: 8/25/20 |
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