86-326
Possible tax amnesty program for the State of Arkansas. 1) Does the Commissioner of Revenue for the State of Arkansas have legal authority to administratively implement a tax penalty amnesty program which would relieve taxpayers from liability for civil or criminal penalty, interest or tax, pursuan
Cite as Ark. Op. Att'y Gen. 86-326
STATE OF ARKANSAS
OFFICE OF THE ATTORNEY GENERAL
JUSTICE BUILDING, LITTLE ROCK 72201
STEVE CLARK (501) 371-2007
ATTORNEY GENERAL
OPINION NO. 86-326
May 13, 1986
*
The Honorable Bill Clinton
Governor of Arkansas
State Capitol
Little Rock, AR 72201 .
HAND-DELIVERED
Dear Governor .Clinton:
This official Opinion is written in response to your recent —
request concerning a possible tax amnesty program for the
State of Arkansas..
You specifically asked. the following questions:
1. Does the Commissioner of Revenue for the State of
Arkansas have legal authority to administratively .
implement a tax penalty amnesty program which would
relieve taxpayers from liability for civil or criminal |
penalty, interest or tax, pursuant to the authority
‘granted the. Commissioner in the Arkansas Tax Procedure
Act. (Ark, Stat. Ann. Sect. 84-4701, et. seq.) or under
_ other state law? ot : '
2, If. the ‘Commissioner has legal authority to relieve :
taxpayers from liability for civil penalty, interest or: ren sare ms
tax, is such authority affected by the type of taxpayer ok
-davolved,. @. gs corporation, individual or other entity? |
3 ‘If ‘the Commissioner possesses “such authority” to
relieve: taxpayers from liability for civil penalty,
interest or tax, is such authority affected bythe
‘status of -the Commissioner's previous determination of
. liability? Examples of different stages of ~~ ,
- determination of liability include the Following:
w
; : The Honorable Bill Clinton
page 2
a) Taxpayer has either litigated the question of
liability or waived his rights thereto, the
Commissioner has prevailed and a lien has been
filed against the taxpayer;
b) Taxpayer has been audited by the Commissioner
and taxpayer contests the assessment of tax,
penalty or interest;
c) Taxpayer has filed a return, but has failed to
pay the amount of the tax, penalty or interest due;
d) Taxpayer has failed to file a return and failed
to pay all or part of the tax penalty which would
be due if the return were filed and the failure to
file or pay is unknown to the Commissioner;
e) Taxpayer has failed to file a report or return,
has failed to pay the amount of tax, penalty or
interest due, but the Commissioner has knowledge of
the potential liability of the taxpayer.
4. If the Commissioner possesses such authority to
relieve a taxpayer from liability for penalty, interest
or tax, can he validly limit such relief to taxpayers
who pay tax and interest owed during a specific amnesty
period?
In Arkansas, an individual becomes liable for income tax by
virtue of a statute. Arkansas Statutes Annotated
§2003(a)(Repl. 1980} states that "a tax is hereby imposed
upon and with respect to the entire income of every
_Tresident, individual, trust or estate which tax shall be
levied, collected and aid annually upon such entire net
income as herein defined and computed. .° .''(Emphasis added).
In addition, Ark. Stat. Ann. §84-4740 and 84-4741(Repl.
-1980) provide for criminal and civil penalties which attach
to any person required under any state tax law to pay over
any tax or file any return who willfully fails to do so.
Therefore, the imposition of tax and penalties for failure
to pay said tax are established by Arkansas statute.
The Commissioner of Revenues, Department of Finance and
Administration is charged with administration and
—--. enforcement of the provisions of every state tax law and the
promulgation of rules and regulations in accordance with
} that law.. It is his responsibility to assess and collect
The Honorable Bill Clinton
page 3
any state tax and to properly determine and compute the
amount of that tax payable by any taxpayer. Ark, Stat. Ann.
§$84-4704(a)(Rep1.1980). Accompanying this broad authority
to administer state tax laws, the Commissioner of Revenues
has the authority to: .
[Wlaive or remit the interest or penalty or any portion
thereof ordinarily accruing because of a taxpayer's
failure to pay a state tax within the statutory period
allowed for its payment if the taxpayer's failure to pay
the tax is satisfactorily explained to the Commissioner,
or if the failure results from a mistake by the taxpayer
of either the law or the facts subjecting him to such
tax, or if the inability to pay the interest or penalty
results from the insolvency or bankruptcy of the
taxpayer.
Ark. Stat. Ann. §84-4724(b) (Repl. 1980).
We assume, by your question, that you envision the
Commissioner of Revenues having blanket authority to grant
amnesty to all taxpayers who have either not (1) paid their
taxes and/or (2) paid penalties and interest which are due
and owing the State of Arkansas,
It is my opinion that the Commissioner of Revenues does not
have authority to administratively implement such a program
in absence of statutory authority since the mandate for
payment of taxes, penalties and interest originates in
statutes. The exemptions contained in §84-4704 are to be
specifically applied on a case-by~case basis according to
each-takpayer' s individual situation.
Since the answer to your first question is "no", the answers
to the remainder of your questions are inapplicable.
. The foregoing opinion, which I hereby approve, was prepared
by Special Counsel to the Attorney General R.B. Friedlander.
Sincerely,
KAA
STEVE’ CLARK ;
Attornéy General
SC/RBF/nio