Assessability of Section 6038(b) Penalties: An Analysis of Safdieh v. Commissioner
On February 27, 2026, the United States Court of Appeals for the Second Circuit issued a pivotal ruling for tax professionals regarding the Internal Revenue Service’s (IRS) authority to assess foreign reporting penalties. In Safdieh v. Commissioner (No. 25-501-cv), the court held that the Commissioner of Internal Revenue may collect penalties under Internal Revenue Code (I.R.C.) § 6038(b) via administrative assessment. This decision officially aligns the Second Circuit with the D.C. Circuit in affirming the IRS’s administrative collection powers for this specific international information reporting penalty.
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