[Effective until 7/1/2029]
Substantial understatement of liability.-[Effective 7/1/2029]
Substantial understatement of liability.-If there is a substantial understatement of tax for any taxable year, there shall be added to the tax an amount equal to ten percent of the amount of any underpayment attributable to such understatement. For purposes of this subsection, there is a substantial understatement of tax for any taxable year if the amount of the understatement for the taxable year exceeds the greater of ten percent of the tax required to be shown on the return for the taxable year or five thousand dollars. For purposes of the preceding sentence, the term "understatement" means the excess of the amount of the tax required to be shown on the return for the taxable year, over the amount of the tax imposed which is shown on the return reduced by any rebate (within the meaning of subsection (h) of section one thousand eighty-one). The amount of such understatement shall be reduced by that portion of the understatement which is attributable to the tax treatment of any item by the taxpayer if there is or was substantial authority for such treatment, or any item with respect to which the relevant facts affecting the item's tax treatment are adequately disclosed in the return or in a statement attached to the return. The tax commission may waive all or any part of the addition to tax provided by this section on a showing by the taxpayer that there was reasonable cause for the understatement (or part thereof) and that the taxpayer acted in good faith.[Repealed Effective 7/1/2029]
Reportable transaction understatement.-For purposes of subparagraph (A) of this paragraph, any reduction of the excess of deductions allowed for the taxable year over gross income for such year, and any reduction in the amount of capital losses which would (without regard to section one thousand two hundred eleven of the internal revenue code) be allowed for such year, shall be treated as an increase in the applicable tax base.
[Repealed Effective 7/1/2029]
Failure to disclose or provide reportable transaction information. -[Repealed Effective 7/1/2029]
Failure to disclose or provide reportable transaction return.-[Repealed Effective 7/1/2029]
Failure to maintain list of advisees.-[Repealed Effective 7/1/2029]
Tax preparer penalty.-[Repealed Effective 7/1/2029]
Promoting abusive tax shelters.-N.Y. Tax Law § 1085