Ftb 2924-2025

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IRS Definition: Reasonable cause is based on all the facts and circumstances in your situation. The IRS will consider any reason which establishes that you used all ordinary business care and prudence to meet your federal tax obligations but were nevertheless unable to do so.
Determine your eligibility You were eligible if you: Filed your 2020 tax return by October 15, 2021[i] Met the California adjusted gross income (CA AGI) limits described in the What you may have received section. Were not eligible to be claimed as a dependent in the 2020 tax year.
This type of audit usually occurs on a random basis and may be triggered by a state or federal agency. The audit involves a review of a taxpayers records such as bank statements and receipts to determine whether the taxpayers return contains any errors.
Reasonable cause may be established if a taxpayer can show that failure to comply with the law occurred despite the exercise of ordinary business care and prudence. For more information on reasonable cause, go to ftb.ca.gov and search for reasonable cause.
Good cause exists where the circumstances causing the delay are clearly beyond the control of the employer or where the delay is due to a mistake or inadvertence under circumstances not reasonably foreseeable by the employer. In other words, the delay is not attributable to the employers fault.
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People also ask

Which penalties qualify for first-time penalty abatement? There are generally three types of penalties that the IRS considers for abatement: failure to file, failure to pay and failure to deposit.
CA FTB Penalty Abatement for Reasonable Cause Reasonable cause is when you are unable to comply with tax obligations even though you exercised ordinary caution. For example, if death or a natural disaster prevented you from paying or filing on time, you may qualify for a penalty waiver.
Use Form 843 to claim a refund or request an abatement of certain taxes, interest, penalties, fees, and additions to tax.

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