WE RESPECTFULLY REQUEST THAT THE Hungerford Charitable Foundation FOUNDATION'S QUARTERLY ESTIMATED TAXES FOR TAXABLE YEAR ENDING DECEMBER 31, 2024 BE TREATED AS TIMELY AND REQUEST THAT THE $20 PENALTY INDICATED ON FORM 2220 BE ABATED BECAUSE THE UNDERPAYMENT IN Q3 AND Q4 WAS DUE TO REASONABLE CAUSE. TREASURY REGULATIONS SEC 301.6651-1(C)(1) DEFINES REASONABLE BY ASKING WHETHER THE TAXPAYER EXERCISED ORDINARY BUSINESS CARE AND PRUDENCE. THE FOUNDATION EXERCISED CARE AND PRUDENCE IN SEEKING A REPUTABLE FIRM KNOWLEDGEABLE ABOUT EXEMPT ORGANIZATIONS TO CALCULATE ITS QUARTERLY ESTIMATES FOR TAX PERIOD ENDING DECEMBER 31, 2024. THE FIRM'S SOFTWARE CORRECTLY DETERMINED THAT THE FOUNDATION COULD PAY ITS Q3 AND Q4 ESTIMATE BASED ON PRIOR YEAR TAX LIABILITY. HOWEVER, SINCE THAT LIABILITY WAS UNDER $500, THE SOFTWARE INCORRECTLY INDICATED THAT NO QUARTERLY PAYMENT WAS DUE. AS SOON AS THE ERROR WAS DISCOVERED, THE FOUNDATION PAID THE REQUIRED TAX. WE BELIEVE THAT THE UNDERPAYMENT WAS DUE TO REASONABLE CAUSE AND IN NO WAY DUE TO AN INTENTIONAL DISREGARD FOR THE RULES, AND RESPECTFULLY REQUEST THAT NO 2220 PENALTY BE ASSESSED.
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