The NRPC recently sent a letter to the Internal Revenue Service Associate Chief Counsel (Procedure and Administration) with comments on the proposed regulations, which provide safe harbor rules that treat payee statements/information returns, such as Forms W-2, that contain de minimis errors in dollar amounts as correct for penalty purposes. See attached letter for more information.
You also might be interested in
- SFRP Industry Payroll Provider March 3, 2022 Event: Follow Up & Next Steps
- IRS Adopts NPRC Suggestion for FFCRA Reporting on Forms W-2
- NPRC Comments on Early ACH Release
- NPRC Statement on Employee Social Security Tax Deferral
- NPRC and APA Offer Recommendations to Treasury and IRS re Social Security Tax Deferrals