A number of clients have received IRS notice CP30A. The penalty for failure to pay sufficient quarterly vouchers has been recalculated. Generally a small refund is owed to the taxpayer. Is the calculation on ProSeries Form 2210 incorrect?
The 2210 calculation assumes that April 15 will be the payment date. You can change that if you know the client will pay sooner. It's likely that those receiving the notice now, filed their returns in March and that reduced the penalty.
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Are they CA residents? The first 3 estimates for 2023 werent due until October last year, but Im not sure our software is computing for that, so Im guessing CA residents would be seeing this correction.
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