5. Noel, a calendar-year taxpayer, filed his 2013 income tax return on October 20, 2014, paying an amount due of
$2,000. On April 1, 2014, he had obtained a six- month extension of time in which to file his return. However, he
could not assert a reasonable cause for failing to file the return by October 15, 2014(the extended due date), nor did
he show any reasonable cause for failing to pay the tax that was due on April 15, 2014. Noel’s failure to file was not
fraudulent. The penalty for failure-to–pay tax is:
a. $ 35
b. $ 10
c. $ 70
d. $ 40
6. When the accuracy-related penalty applies, interest on the penalty accrues from the:
a. date on which assessment is made
b. date on which the penalty was imposed or December 31 whichever is earlier
c. date on which the penalty was imposed
d. due date of the return
7. A ‘large corporation’ as defined in the Code is one which had a taxable income of:
a. $10 million or more in any of the 10 immediately preceding taxable years.
b. $2 million or more in any of the two immediately preceding taxable years.
c. $5 million or more in any immediately preceding five taxable years.
d. $1 million or more in any of the three immediately preceding taxable years.
8. The burden of proof in a fraud case is on the:
a. tax payer
b. tax court
c. IRS
d. tax practitioner