Disaster Relief and Forms 3520, 3520-A

The IRS clarified filing guidance for Forms 3520 and 3520-A under disaster relief. Note the disaster name and new deadline on the form. If penalized despite timely filing, contact the IRS International line for assistance.

We are sharing the update, below, from an official in IRS Service wide Penalties to the AICPA Form 3520 Penalties Task Force. The IRS is aware that AICPA is sharing this news with members and tax professionals. 

If a taxpayer is filing a Form 3520 or Form 3520-A (if applicable to the disaster filing) beyond the normal deadline because of extended filing disaster relief (especially if it because the practitioner is in the declared disaster area and not the taxpayer), the IRS recommends: 

 

  1. Taxpayers or practitioners should put on the top of the first page of Form 3520 or Form 3520-A (if applicable to the disaster filing) the NAME OF THE DISASTER (i.e., Hurricane Katrina, storm, flood and location) and the extended deadline.

  1. If a taxpayer is assessed a penalty for Form 3520 or Form 3520-A (if applicable to the disaster filing) and the taxpayer timely filed it under the extended disaster filing relief, the taxpayer or the practitioner should call the IRS International line, choose the option to speak to the business tax section, and inform them of the specific disaster relief that applies, noting the extended deadline.  

 

The taxpayer or practitioner may need to request that the IRS check for the disaster indicator on the individual income tax account in cases where the IRS previously recorded the disaster relief. If there is no posting of eligibility for relief previously, then relief should still apply to the Form 3520, and the practitioner or taxpayer should work with the phone agent to obtain relief.  

 

 

 


Topics:

You May be Interested in

  • TXCPA Urges Texas Delegation to Support Fiscal State of the Nation Act
    TXCPA is encouraging Texas lawmakers to support H.R. 7026, the Fiscal State of the Nation Act. This bill would give Congress clearer, more consistent financial insights and help strengthen long‑term fiscal decision‑making.
  • Navigating Last-Minute Filing Season Details
    The IRS and states are issuing last-minute rules that affect this tax season - mandatory electronic payments, new CP53E refund notices, expanding state e-payment requirements, and updated USPS postmark rules. Practitioners need to stay alert.
  • The IRS May Owe Your Clients Money from the COVID Period
    Recent court decisions have opened a largely overlooked opportunity for significant tax refunds based on mandatory disaster relief under IRC Section 7508A during the federally declared COVID-19 disaster period. As a result, interest and penalties assessed during this period may be invalid and refundable, and some taxpayers who received refunds may also be entitled to unpaid overpayment interest. While uncertainty remains and the IRS may resist such claims, timely protective refund filings are critical to preserve clients rights as the statute of limitations continues to run.

Support the Next Generation

Donate to TXCPA scholarships and help aspiring accountants achieve their goals.