B J Kang Law PC
  • HOME
  • PEOPLE
  • SERVICES
    • KIC SV Sample Documents
  • CONTACT
  • PERSPECTIVES
  • Careers

Our Perspectives

Commonwealth of Virginia’s Tax Amnesty 2017

10/13/2017

0 Comments

 
Do you owe the Commonwealth of Virginia for past-due taxes? Are you one of the hundreds of thousands of residents, employers, or employees that has failed to file a Virginia tax return? If you can answer yes to any of the above questions, you’re in luck.

Virginia’s 2017 Tax Amnesty program (Program or Amnesty Program) is currently underway and scheduled to last until November 14th, 2017. Pursuant to the Program, qualified individuals and businesses are able to satisfy their delinquent tax obligations by paying their past-due tax bill(s), plus one-half of the interest owed, in exchange for the Commonwealth waiving all remaining interest and penalties. Taxpayers that have multiple outstanding tax bills or unfiled returns are also permitted to participate in the Program on a bill-to-bill basis. Such taxpayers may satisfy one or more outstanding tax obligations even if they’re unable to satisfy all outstanding tax obligations to the Commonwealth.

In terms of Program participation eligibility, almost all individuals and business entities are permitted to participate so long as the individual or entity has a specific type of past-due tax bill or a specific type of unfiled, delinquent return. Accordingly, Commonwealth taxpayers that find themselves or their company in the following situation may be eligible for the Amnesty Program:

  1. Individuals or entities that have a tax bill for an “Eligible Period” (see below) and have an assessment date at least ninety (90) days prior to first day of the Amnesty Program (the Program began on September 13th, 2017), or
  2. Individuals or entities that have a delinquent return for an amnesty-eligible tax type and tax period.

Each specific type of Commonwealth tax, and there are over thirty (30) different taxes levied by Virginia that are eligible for the Program, has a different “Eligibility Period” that must be met in order to qualify for the Amnesty Program. Some of the more common past-due tax type Eligibility Periods are as follows: (i) the Eligibility Period for individual income taxes is taxable year 2015 and prior; (ii) the Eligibility Period for corporate income taxes is taxable year 2015 and prior; (iii) the Eligibility Period for retail sales and use taxes is the month of April 2017 and prior; and (iv) the Eligibility Period for employer income tax withholding is the month of April 2017 and prior.

The current collection status of a specific tax liability may also affect whether a Virginia taxpayer qualifies for Amnesty Program participation (e.g., Program eligibility rules differ depending on if the past-due taxes or delinquent tax return has morphed into a Converted Assessment, Lien, Jeopardy and Fraud Assessment, and so on).

As the Amnesty Program almost halfway complete, now is the time to contact a member of our firm (info@bjkanglaw.com) or your local tax professional for more information. ​
0 Comments

    Categories

    All
    Business Immigration
    Business Planning And Corporate Transactions
    Federal And State Tax Planning
    International Tax


    Authors


    ​B.J. Kang JD, CPA
    Josh Portman JD, LL.M
    Habeeb Syed JD
    Nora Ji Li LL.M
    Nathaniel S. Johnson

    Archives

    December 2022
    February 2021
    January 2021
    November 2020
    March 2020
    April 2019
    April 2018
    February 2018
    January 2018
    October 2017
    September 2017
    July 2017
    January 2017
    October 2016
    September 2016
    January 2016
    December 2015
    October 2015
    June 2015
    March 2015
    January 2015
    November 2014
    October 2014
    September 2014
    August 2014
    July 2013



    DISCLAIMER:
    The information contained on this web-site is not legal advice. The information may not reflect the most up-to-date legal developments.  Unless otherwise indicated in writing, any US federal tax advice contained in this web-site is not intended to be used, and cannot be used to (i) avoid penalties under the US Internal Revenue Code, or (ii) promote, market or recommend to another party any matter addressed herein.

    RSS Feed

 
3135 Mount Vernon Ave., Alexandria, VA 22305 
3003 N. First St., San Jose, CA 95134 (CA Branch: KIC-SV)
Harvard Sq., 1 Mifflin Pl., STE 400, Cambridge, MA 02138 (MA Branch)
Telephone : 703-595-2836 Fax : 703-722-9168
Copyright © 2021 B.J. Kang Law, PC. All rights reserved.