Or. Admin. R. 150-314-0209 - Substantial Authority, Adequate Disclosure and Reasonable Basis
(1) Definitions.
For purposes of ORS 314.402, OAR 150-314.402(1), and
this rule:
(a) "Substantial authority" has
the same meaning as used in Treasury Regulation 1.6662-4(d).
(b) "Adequate disclosure" has the same
meaning as used in Treasury Regulation 1.6662-4(e)-(f).
(c) "Reasonable basis" has the same meaning
as used in Treasury Regulation 1.6662-3(b)(3).
(2) When determining if an understatement is
substantial, the understatement does not include items for which:
(a) Substantial authority exists (or existed
at the time the taxpayer claimed it on the return) for the tax treatment of the
item in question; or
(b) The
taxpayer adequately disclosed relevant facts for the tax treatment of the item
in question on the Oregon return (or on a statement attached to the Oregon
return), and the taxpayer had a reasonable basis for the tax treatment of the
item.
(3) Items not
adequately disclosed to the department before the taxpayer was first notified
by the department concerning the tax liability will not be considered
adequately disclosed on any subsequent filing by the taxpayer.
(4) Items attributable to an abusive tax
shelter as defined in ORS
314.402(4)(a)
do not qualify under this rule to be excluded from the
understatement.
Notes
Stat. Auth.: ORS 305.100
Stats. Implemented: ORS 314.402
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