PDF document
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Reasonable Cause 

Regulations & 

Requirements for 

Missing and Incorrect 

Name/TINs on 

Information Returns 

(Including instructions for reading CD/DVDs) 

Publication 1586 (Rev.7-2023)  Catalog Number 13597U Department of the TreasuryInternal Revenue Service www.irs.gov 



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 Table of Contents 

 I.    INTRODUCTION ...................................................................................................................... 1 

       Purpose .................................................................................................................................... 1 

       Applicable Regulations ............................................................................................................. 1 

       What’s New? ............................................................................................................................. 1 

 II.   PENALTY FOR MISSING TINS AND INCORRECT NAME/TIN COMBINATIONS ................. 2 

 III.  REASONABLE CAUSE ............................................................................................................ 3 

 IV.   NOTICE 972CG, NOTICE OF PROPOSED CIVIL PENALTY .................................................. 4 

       Proposed Penalty Notice .......................................................................................................... 4 

       Federal Agencies: ..................................................................................................................... 4 

       Contents of Notice 972CG Include ........................................................................................... 4 

       How to Answer Notice 972CG .................................................................................................. 5 

 V.    MANNER OF TIN SOLICITATIONS ......................................................................................... 6 

       Initial Solicitations by Electronic Means ……………………………………………………………. 6 

       Annual Solicitations by Mail........................................................................................................7 

       Annual Solicitations by Telephone. ........................................................................................... 7 

 VI.   ACTIONS FOR MISSING TINS AND INCORRECT NAME/TIN COMBINATIONS ................. 8 

       Initial and Annual Solicitations - General Rules ........................................................................ 9 

       Missing TINs ................................................................................................................ ……… 10 

       Incorrect TIN ............................................................................................................................. 11 

       Exceptions to the Requirement for Two Annual Solicitations .................................................... 12 

       Comparison of IRS Payee Listing to Your Records ................................................................... 13 

 VII.  FORM W-2 SSN SOLICITATIONS ........................................................................................... 14 

 VIII. INFORMATION RETURN PENALTY RATES .......................................................................... 14 

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 IX.  IRS MATCHING PROCESS AND NAME CONTROLS ............................................................ 17 

      Individuals ................................................................................................................................. 17 

      Sole Proprietors (not including Single-Member LLCs) .............................................................. 18 

      Partnerships and Single-Member LLCs .................................................................................... 19 

      Corporations ………………………………………………………………………………………………20 

      Estates, Trusts, and Fiduciaries ................................................................................................ 20 

      Other Organizations .................................................................................................................. 21 

 X.   WHERE TO CALL FOR HELP ................................................................................................. 22 

 XI.  FORM 10301, CD ENCRYPTION CODE AUTHORIZATION FOR CP2100/972CG/972F 
      NOTICES .................................................................................................................................. 22 

 XII. INSTRUCTIONS FOR READING CD/DVDs ............................................................................ 22 

      Information about the CD/DVD ................................................................................................. 22 

      Record Layouts - CD/DVD........................................................................................................ 25 

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 I. INTRODUCTION 

 Purpose 
 This publication: 

    Provides general information needed to avoid penalties under Internal Revenue Code (IRC) 
      6721 through IRC 6723 for information return documents that are filed or furnished with 
      missing or incorrect taxpayer identification numbers (TINs). 
    Describes the actions that must be taken, or should have been taken, to solicit (request) a TIN. 
    Explains the requirements for establishing reasonable cause. 

 Applicable Regulations 
 Treasury Regulations affecting all persons who may be subject to penalty for failure to comply with 
 the information reporting requirements defined under IRC 6724(d) include, but are not limited to: 

    301.6721-1, Failure to file correct information returns 
    301.6722-1, Failure to furnish correct payee statements 
    301.6723-1, Failure to comply with other information reporting requirements 
    301.6724-1, Reasonable cause 
 Other regulations that apply to specific forms may supersede all or parts of these regulations. 
 Examples of such regulations include, but are not limited to: 

    1.6045-4, Information reporting on real estate transactions with dates of closing on or after 
      January 1, 1991 (Form 1099-S, Proceeds From Real Estate Transactions) 
    1.6050H-2, Time, form, and manner of reporting interest received on qualified mortgage (Form 
      1098, Mortgage Interest Statement) 
    1.6050S-1, Information reporting for qualified tuition and related expenses (Form 1098-T, 
      Tuition Statement) 
    1.6050S-3, Information reporting for payments of interest on qualified education loans (Form 
      1098-E, Student Loan Interest Statement) 
    1.6055-1, Information reporting for minimum essential coverage (Form 1095-B, Health 
      Coverage) 
    301.6056-1, Rules relating to reporting by applicable large employers on health insurance 
      coverage offered under employer-sponsored plans (Form 1095-C, Employer-Provided Health 
      Insurance Offer and Coverage) 

 What’s New? 
    Updated penalty rate tables in Part VIII to reflect new rates, including annual inflation 
      adjustments, for information returns required to be filed on or after January 1, 2024. Also 
      included reference to Revenue Procedure for added year’s rates. 
    Final Treasury Regulations relating to Form 1095-B and Form 1095-C were recently 
      published. 1.6055-1, Information reporting for minimum essential coverage became effective 
      on December 15, 2022, and 301.6056-1, Rules relating to reporting by applicable large 
      employers on health insurance coverage offered under employer-sponsored plans,  was 
      effective March 8, 2023. 

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  II. PENALTY FOR MISSING TINS AND INCORRECT NAME/TIN COMBINATIONS 

  IRC 6721, Failure to file correct information returns, imposes a penalty per return for each of the 
  following failures related to information returns defined under IRC 6724(d)(1): 

      Failure to file, 
      Filed with a missing/incorrect TIN (or other missing or incorrect information), 
      Filed untimely, 
      Filed on paper when electronic filing was required (incorrect media), 
      Filed in an incorrect format, (unprocessable), or 
      Any combination of the above. 
  Only one penalty is imposed with respect to a single information return, even if there is more than 
  one failure with respect to the return. If there are multiple failures on the same information return, 
  only the highest penalty amount will be imposed under IRC 6721. For example, if a Form 1099-B 
  was filed 30-days late ($50 penalty for tax year 2021) with an incorrect TIN that was not corrected 
             st
  by August 1  of the filing year ($280 penalty for tax year 2021), then only a $280 penalty will be 
  imposed. If reasonable cause relief is accepted for the incorrect TIN and the TIN penalty is 
  waived, the late filing penalty ($50) may still apply and be imposed if reasonable cause relief for 
  this failure is not granted. 

  Note that the penalty under IRC 6722, Failure to furnish correct payee statements, may be imposed 
  in addition to the IRC 6721 penalty if, for example, a return was filed late, and the payee statement 
  was furnished late. Notice 972CG only proposes a penalty under IRC 6721. 

  The maximum penalty that may be imposed for one person for all such failures in a calendar year 
  depends on the year in which the return is due. See Section VIII for details on information return 
  penalty rates. 
  
       Note:    There are no maximum penalty limitations for failures that are due to intentional 
                 disregard. 
                                                                                                           
  Refer to Part VIII for the applicable penalty rates and maximum penalty amounts depending 
  on when the return is due. These penalty rates and maximum penalty amounts are subject to 
  inflation increases as required by IRC 6721(f) for returns due on or after January 1, 2016. 

  De minimis rule for corrections: 

  Even though the filer cannot show reasonable cause, the penalty for failure to file correct information 
  returns will not apply to a certain number of returns if the filer: 

      Filed those information returns timely, 
      Either failed to include all the information required on a return or included incorrect 
        information, and 
                                   st
      Filed corrections by August 1  of the filing year 
  If the filer meets all these conditions, the penalty for filing incorrect returns will not apply to the 
  greater of 10 information returns or ½ of 1% (0.005) of the total number of information returns the 
  filer is required to file for the calendar year. 
 
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      Note:   De minimis rule does not apply to returns that are not due on February 28 or March 
               15, for example Form 8300. However, returns that are not due on February 28 or 
               March 15 are included in the total number of all information returns that the filer is 
               required to file during a year for purpose of calculating the number of returns subject 
               to the de minimis rule. See Treas. Reg. 301.6721-1(d)(4). 
 
  Safe harbor exceptions for de minimis dollar amount errors: 

  Under the de minimis error safe harbor exceptions, the filer is not required to correct an error on an 
  information return or payee statement to avoid penalties for failure to file a correct information return 
  or a correct payee statement if the error relates to any incorrect dollar amount and is no more than 
  $100 ($25 for tax withheld). This safe harbor applies to any individual error within the de minimis 
  amounts. 

  IRC 6721(c)(3)(B) and 6722(c)(3)(B) allow payees to elect that the de minimis error safe harbor 
  exceptions not apply and thereby request that the filer provide them with corrected statements. If 
  the payee makes this election, the penalties for incorrect information will continue to apply to the 
  filer and the filer must provide a corrected information return and payee statement as necessary. See 
  Notice 2017-09, 2017-4 I.R.B. 542. 

  III. REASONABLE CAUSE 

  To show that the failure to include a correct TIN was due to reasonable cause and not willful neglect, 
  filers must establish both that they acted in a responsible manner both before and after the failure 
  occurred and that: 

     There were significant mitigating factors with respect to the failure (for example, an established 
       history of filing information returns with correct TINs), or 
     The failure was due to events beyond the filer’s control (for example, actions of the payee or 
       any other person). 
  Except as otherwise stated in this publication, acting in a responsible manner for missing and 
  incorrect TINs generally includes making an initial solicitation (request) for the payee’s name and TIN 
  and, if required, annual solicitations. 

  Mitigating factors or events beyond the filer’s control alone are not sufficient to establish reasonable 
  cause. Upon receipt of the newly provided TIN, it must be used on any future information returns 
  filed. Refer to Treas. Reg. 301.6724-1 for all reasonable cause guidelines. 

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     Note:       Employers may use the Social Security Administration’s (SSA) Social Security Number 
                  (SSN) verification systems to verify the employee’s name and SSN, but there is no 
                  Internal Revenue Service (IRS)  requirement to do so. The option is useful for 
                  employers to identify  potential  discrepancies and correct SSNs  before receiving  a 
                  penalty notice. For more information, go to www.socialsecurity.gov/employer. 
            
                  TIN Matching is also available as part of the Internet based pre-filing e-services 
                  that allows “authorized payers of payments subject to backup withholding” the 
                  opportunity to match Form 1099 payee information against IRS records prior to 
                  filing information returns. For more information, go to https://www.irs.gov/tax- 
                  professionals/taxpayer-identification- number-tin-matching. 
                                                                                                              
  IV. NOTICE 972CG, NOTICE OF PROPOSED CIVIL PENALTY 

  Proposed Penalty Notice 
  Notice 972CG proposes an IRC 6721(a) penalty for information returns that were filed late, filed 
  on incorrect media, filed with a missing or incorrect TIN, or a combination of these failures. 
  For information returns filed with missing or incorrect TINs, Notice 972CG includes a list of the 
  information returns filed with missing or incorrect name/TIN combinations. 
 
  Filers should compare this list with their records to determine if: 

    Appropriate action was taken in the year for which the penalty is being proposed (see Part VI) 
      to meet the requirements for establishing reasonable cause. 
    An annual solicitation must be made in the current year to avoid penalties in future years. 
  
     Note:       Filers must provide a separate written explanation to substantiate a reasonable cause 
                  waiver for proposed penalties related to late filing and/or failure to electronically file 
                  information returns. 
                                                                                                              
  Federal Agencies: 
  Penalties and interest are not asserted against federal agencies per Policy Statement 20-2. In lieu 
  of Notice 972CG, federal agencies receive Notice 972F with a listing of the information returns filed 
  with missing or incorrect TINs so they can take appropriate actions to solicit for the correct TINs for 
  future filings. 

  Contents of Notice 972F for Federal Agencies: 

    A list of the information returns filed with missing or incorrect name/TIN combinations. 
  Although federal agencies are not legally required to respond to the Notice 972F, they should be sure 
  to abide by the same solicitation rules to obtain a correct TIN and backup withhold when required. 
 
  Contents of Notice 972CG Include 
    An explanation of the proposed penalty, 
    An explanation of how to respond to the notice, 

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 A record of each submission considered in the total penalty, including the form type, date 
   received (if not timely filed), whether the returns were original or corrected, the transmitter 
   control code (for electronic filers), and the type of penalty that applies (or penalties that apply) 
   such as late, incorrect TINs, etc., 
 A list of the information returns filed with missing or incorrect name/TIN combinations so the 
   filer can reconcile with the filer’s records, 
 A summary of the proposed penalty, which takes into consideration all penalties proposed, 
   and the maximum penalty amount that can be assessed under IRC 6721(a), 
 A response page, and 
 A payment/correspondence slip. 

 How to Answer Notice 972CG 
 The notice must be answered within 45 calendar days (60 calendar days for foreign filers) 
   from the notice date. 
 If more time is needed, submit a written request to the address listed on the notice before the 
   end of the 45 or 60- day period. 
 Send in the portion of the payment/correspondence slip that is appropriate to the filer’s 
   response (i.e., fully agreeing, partially agreeing, or totally disagreeing with the proposed 
   penalty). Sign in the space provided and submit payment if the filer fully or partially agrees to 
   the proposed penalty. 
 In seeking a waiver of the proposed penalty, the filer must submit a written statement that: 
   1. States the specific provision under which the waiver is being requested (for example: 
   event beyond filer’s control), see Treas. Reg. 301.6724-1(b) and (c). 

   2. Sets forth all the facts alleged as the basis for reasonable cause and that the filer acted 
   in a responsible manner (for example: specifies that the applicable solicitation (initial, first 
   annual, second annual, etc.) for each missing/ incorrect TIN took place in the time and 
   manner required by regulations. See part VI for more information on TIN solicitation rules, 
   as well as Treas. Reg. 301.6724-1(e) & (f)). 

   3. Contains the signature of person required to file the return. 

   4. Contains the declaration that it is made under penalties of perjury. 

 Do not submit copies of the TIN solicitations unless requested. 
 The IRS may issue Letter 1948C to ask for additional explanation or information to support 
   the request to waive the proposed penalty. If the filer doesn’t respond by the time indicated in 
   the Letter 1948C, the IRS will deny the waiver request and assess the proposed penalty. 
 If reasonable cause is established, IRS will issue Closing Letter 6304C stating that the 
   explanation given was accepted and the applicable penalty will not be assessed. 
 If the filer’s written statement does not establish reasonable cause, or only partially 
   establishes reasonable cause, a penalty will be assessed. The IRS will send Letter 854C 
   explaining the reason for the denial, including the filer’s appeal rights. The assessment will 
   generate a balance due notice (CP15 or CP215) including appeal rights. 
 No response to the Notice 972CG within 45 calendar days (60 calendar days for foreign filers) 
   will result in assessment of the full amount of the proposed penalty and generate a balance 
   due notice (CP15 or CP215) including appeal rights. 

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    Note: Interest accrues on the balance due from the date of the CP15/CP215 Notice (unless 
           the penalty is paid within a specified number of days stated on the CP15/CP215 
           Notice) and continues to accrue until the balance is fully paid. Interest charged on any 
           penalty amount that is later decreased will be reduced accordingly. 
                                                                                                            
  V. MANNER OF TIN SOLICITATIONS 

  Payers are required to solicit the TINs of payees to meet reasonable cause criteria as acting in a 
  responsible manner to avoid information reporting penalties. Generally, a solicitation is a request 
  made by a payer to a payee to furnish a correct TIN. An initial solicitation for a payee’s correct 
  TIN must be made at the time an account is opened (or a relationship initiated) unless the payer 
  already has the payee’s TIN and uses that TIN for all transactions with the payee. The solicitations 
  may be made by oral or written request or by electronic communications, depending on how the 
  account is opened or relationship established. Where a payee’s TIN is missing or incorrect after the 
  initial solicitation, the payer generally will need to conduct annual solicitations for a correct TIN to 
  obtain a waiver for reasonable cause. See Treas. Reg. 301.6724-1(e)(1), (f)(1). For purposes of these 
  procedures, a requester is anyone required to file an information return. A payee is anyone required 
  to provide a TIN to the requester. 
  A payer that receives backup withholding notices reporting missing/incorrect payee TINs (CP2100 or 
  CP2100A) must make solicitations (sending “B notices” to payees) pursuant to the backup 
  withholding rules (Treas. Reg. 31.3406(d)-5). If the payer also receives penalty notices 972CG for 
  missing/incorrect TINs under IRC 6721 for the same payees either during the same calendar year or 
  with respect to information returns filed for the same tax year, and the payer has sent the required 
  B notices to the payees, the payer is not required to also make annual solicitations for correct TINs 
  pursuant to IRC 6724. See Publication 1281, Backup Withholding on Missing and Incorrect Name/ 
  TINs (including Instructions for Reading Tape Cartridges and CD/DVD Formats). 
   
  Initial Solicitations by Electronic Means 
  Requesters may establish an electronic system for payees to receive and respond to initial TIN 
  solicitations. This also includes responding to and receiving solicitations by fax. Generally, the 
  electronic system must: 

   1.  Ensure the information received is the information sent and document all occasions of user 
     access that result in the submission. 
   2.  Be reasonably certain the person accessing the system and submitting the form is the person 
     identified on the Form W-4, W-9 or W-9S. 
   3.  Provide the same information as required by the paper Form W-4, W-9 or W-9S. 
   4.  Require as the final entry in the submission to the requester an electronic signature by the 
     payee whose name is on the Form W-4, W-9 or W-9S that authenticates and verifies the 
     submission. 
   5.  Be able to supply a hard copy of the electronic Form W-4, W-9 or W-9S if requested by the 
     IRS. 
   6.  For Forms W-4, the signature must be under penalty of perjury. The electronic system 
     must inform the employee that he or she must make a declaration contained in the perjury 
     statement and that the declaration is made by signing the Form W-4. See Treas. Reg. 
     31.3402(f)(5)-1(c)(2)(iii) for more information. 
   7.  For Forms W-9 and W-9S that are required to be signed, the electronic system must provide 

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    for an electronic signature and a penalty of perjury statement. See Instructions for the 
    Requester of Form W-9 for more information. 
  
   Note: While the filer may establish an electronic system to receive Forms W-4 from the filer’s 
    employees, the filer should make a paper option reasonably available upon request to any 
    employee who has a serious objection to using the electronic system or whose access to or 
    ability to use the system may be limited (for example, as a result of a disability).

Generally, annual solicitations may be made in one of the following ways: 
 
  Annual Solicitations      by Mail 
  Annual solicitations by mail must include three items to the payee: 

  1.  A letter stating that the payee must provide an accurate TIN and that failure to do so may 
    result in a $50 penalty under IRC 6723. 
  2.  Form W-9, Request for Taxpayer Identification Number and Certification, as applicable (or 
    a substitute document that is substantially similar to Form W-9). See Publication 1281 for 
    detailed instructions for Form W-9. 
  3.  A return envelope, which may be (but is not required to be) postage prepaid. 
  If the annual solicitation is for a missing or incorrect name/TIN required to be reported on Form 
  1099-R, Distributions From Pensions, Annuities, Retirement or Profit-Sharing Plans, IRAs, Insurance 
  Contracts, etc., then Form W-4P, Withholding Certificate for Periodic Pension or Annuity Payment or 
  Form W-4R, Withholding Certificate for Nonperiodic Payments and Eligible Rollover Distributions, 
  may be included along with Form W-9. 

  If the annual solicitation is for a missing or incorrect Social Security Number (SSN) required to 
  be reported on Form W-2, Wage and Tax Statement, then Form W-4, Employee’s Withholding 
  Certificate, may be used. 

  If the annual solicitation is for a missing or incorrect SSN required to be reported on Form 1098-E, 
  Student Loan Interest Statement, or Form 1098-T, Tuition Statement, then Form W-9S, Request for 
  Student’s or Borrower’s Taxpayer Identification Number and Certification, may be used. 
 
  Annual Solicitations      by Telephone 
  In general, an annual solicitation may be made by telephone if the solicitation procedure is designed 
  and carried out in a manner that is conducive to obtaining the payee’s TIN. However, telephone 
  solicitations do not apply for missing or incorrect TINs on certain forms such as Form 1098-E and 
  Form 1098-T. A telephone solicitation may be conducted by: 

  1.  Calling each payee with a missing or incorrect name/TIN combination and speaking to an 
    adult member of the household, or to an officer of the business or organization. 
  2.  Requesting the payee’s TIN. 
  3.  Informing the payee of the $50 penalty under IRC 6723 if the TIN is not provided. 
  4.  Maintaining contemporaneous records showing that the solicitation was properly made. 
  5.  Providing the records to the IRS, if requested. 
  
   Note: An annual solicitation is not required to be made for a year if no payments were made 
          to the account for such year or if no information return is required to be filed for the 
          account for the year. 
                                                                                                         
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 VI. ACTIONS FOR MISSING TINS AND INCORRECT NAME/TIN COMBINATIONS 

 TINs can be an SSN, an Employer Identification Number (EIN), an Individual Taxpayer Identification 
 Number (ITIN), or an Adoption Taxpayer Identification Number (ATIN). SSA assigns SSNs. IRS assigns 
 EINs, ITINs, and ATINs. 

 If a TIN is not provided or is obviously incorrect, it is considered missing. TINs lacking nine numerical 
 digits or containing alpha characters are considered obviously incorrect. A name/TIN combination is 
 incorrect when it does not match or cannot be found on IRS files that contain EINs, SSNs, ATINs, and 
 ITINs. 

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 Initial and Annual Solicitations - General Rules 
 
                         Missing TINs                              Incorrect TINs 
  Initial Solicitation Must be made at the time           Must be made at the time an 
                         an account is opened or              account is opened or relationship 
                         relationship established, unless     established unless the payer 
                         the payer already has the            already has the payee’s TIN and 
                         payee’s TIN and uses that TIN        uses that TIN for all accounts of 
                         for all accounts of the payee.       the payee. 

                       If a TIN is not received as a      No additional solicitation is 
                         result of an initial solicitation,   required after the filer receives 
                         the filer is required to make up     the TIN unless the IRS, or broker, 
                         to two annual solicitations until    notifies the filer that the TIN is 
                         a TIN is obtained.                   incorrect. 
  First Annual         Must be made if a TIN is not       Must be made if filer has been 
  Solicitation           received as a result of an initial   notified of an incorrect TIN, 
                         solicitation.                        whether by a broker or by the IRS 
                                                              (in a backup withholding notice 
                       Must be made on or before            (CP2100/ CP2100A), or penalty 
                         December 31 of the year in           notice (Notice 972CG)). 
                         which the account is opened 
                         or relationship established  (for  If notified by penalty notice, the 
                         accounts opened or relationship      annual solicitation must be made 
                         established before December)         on or before December 31 of the 
                         or January 31 of the following       year in which the filer is notified 
                         year (for accounts opened or         or by January 31 of the following 
                         relationship established in the      year if notified in the preceding 
                         preceding December) (“annual         December. If notified by backup 
                         solicitation period”).               withholding notice, solicitations 
                                                              must be made pursuant to the 
                                                              rules in IRC 3406. See Pub. 1281. 

                                                            If a backup withholding notice 
                                                              is received related to the same 
                                                              payee in the same year as the 
                                                              penalty notice, or related to an 
                                                              information return for the same 
                                                              tax year, and the filer sent the 
                                                              required B notice under IRC 3406, 
                                                              an additional solicitation is not 
                                                              needed under IRC 6724. 
  Second Annual        Must be made if a TIN is not       Must be made if filer is notified in 
  Solicitation           received as a result of the first    any year following the year of the 
                         annual solicitation.                 first annual solicitation that the 
                                                              account of a payee contains an 
                       Must be made after the               incorrect TIN. 
                         expiration of the annual 
                         solicitation period and on or      Must be made on or before 
                         before December 31 of the            December 31 of the year in which 
                         year immediately succeeding          the filer is notified of an incorrect 
                         the calendar year in which           TIN. 
                         the account is opened or 
                         relationship established. 

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    Reminder: To claim reasonable cause based on appropriately conducting the required 
               solicitation, the solicitation that took place must be for the tax year that the 
               penalty is being proposed. Example: A filer appropriately made the initial 
               solicitation during 2021 and included the TIN provided by the payee on the 2021 
               information return. In 2023, the IRS sent a Notice 972CG to the filer proposing a 
               penalty for filing the 2021 information return with an incorrect TIN. The penalty 
               generally would be waived because the filer could show it acted in a responsible 
               manner for 2021. The filer made the first annual TIN solicitation in 2023 after 
               having been notified by the IRS and filed the 2023 information return using a 
               newly provided TIN from the payee. The filer can show they acted in a responsible 
               manner for 2023 if another TIN penalty is proposed for 2023 in a future year. 
                                                                                                               
  Missing TINs 
  Special Missing TIN solicitation rules: 

  The following requirements apply to payee accounts with missing TINs for payments of designated 
  distributions reported on Forms 1099-R, Distributions From Pensions, Annuities, Retirement or 
  Profit-Sharing Plans, IRAs, Insurance Contracts, etc.: 

   1.  Complete an initial solicitation. 
   2.  Complete a first annual solicitation if a TIN is not received as a result of the initial solicitation, 
     as General Rules above described. 
   3.  Complete a second annual solicitation if a TIN is not received as a result of the first annual 
     solicitation. See General Rules above for the time frame for the second annual solicitation. 
   4.  Withhold from the taxable portion of any payment that is a designated distribution and is 
     subject to withholding if a response is not received as a result of the initial solicitation. The 
     rate of withholding depends upon the type of payment made. 
      
  Reporting entities filing Form 1095-B, Health Coverage will not be subject to penalties for failure to 
  report a TIN if date of birth is provided when a TIN is not available, see Treas. Reg. 1.6055-1(e) 
  effective December 15, 2022, or they comply with the requirements of Treas. Reg. 301.6724-1(e).  
  
    Note:    TIN solicitations made to the responsible individual for a policy or plan are treated as 
              TIN solicitations of every covered individual on the policy. 
 
  Additionally, a reporting entity is not required to solicit a TIN from an individual whose coverage is 
  terminated. 
 
    Reminder: If a TIN is received from the payee, include it on any future information returns 
               filed for that payee. A correction for a return with a missing TIN is not required to 
               be filed unless also correcting a money amount. However, an employer should file 
               a Form W-2c, Corrected Wage and Tax Statement, even if the employer is only 
               filing Form W-2c to report an employee’s SSN. 
                                                                                                               
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 Incorrect TINs 
 Special Incorrect TIN Solicitation Rules: 

 A filer of the information return required under Treas. Reg. 1.6055-1 may receive an error message 
 from the IRS indicating that a TIN and name provided on the return do not match IRS records. 
 An error message is neither a Notice 972CG nor a requirement that the filer must solicit a TIN in 
 response to the error message. 

 The following requirements apply to payee accounts with incorrect TINs for payments of designated 
 distributions reported on Forms 1099-R, Distributions From Pensions, Annuities, Retirement or 
 Profit-Sharing Plans, IRAs, Insurance Contracts, etc. For payee accounts with incorrect TINs: 

 1.  Complete an initial solicitation, as previously described. 
 2.  Complete a first annual solicitation within 30 business days from the date on which the Notice 
 972CG is received. 
 3.  Continue to treat as valid any withholding election the payee previously made on the originally 
 completed Form W- 4P, Withholding Certificate for Pension or Annuity Payments (or a 
 substitute form), if the payee responds to the first annual solicitation within 45 calendar days 
 confirming that the name/TIN combination is correct. 
 4.  Disregard any existing withholding election based on the prior name/TIN combination if 
 the payee responds to the first annual solicitation within 45 calendar days and furnishes a 
 different name/TIN combination. In order to notify the payer regarding the amount, if any, of 
 income tax to be withheld from future designated distributions, the payee must submit a new 
 withholding election by completing Form W-4P, Form W-4R or a substitute form. This new 
 withholding election will be effective on the date provided in the sample notice in Treas. Reg. 
 35.3405-1T, Q&A D-21, i.e., no later than the January 1, May 1, July 1, or October 1 after 
 it is received, provided that it is received at least 30 days before that date. Withhold from 
 any periodic payments made before receiving the new withholding election using the wage 
 withholding rate for a married individual claiming three withholding allowances. 
 5.  Withhold from any subsequent payments that are designated distributions subject to 
 withholding if the payee does not respond to the first annual solicitation within 45 calendar 
 days. Alternatively, upon receipt of a Notice 972CG notifying the payer of incorrect name/ 
 TIN combinations, disregard any prior withholding election made by the payees whose name/ 
 TIN combinations are identified as incorrect in the Notice 972CG. In that event, the payer 
 should consider these payees as having no withholding election in effect until receipt of new 
 withholding elections on Form W-4P (or substitute form). 
 6.  Complete a second annual solicitation within the same time frame as required for the first 
 annual solicitation when notified of an incorrect name/TIN combination in any calendar year 
 following the first notification. 

                                           11 



- 15 -
  Reporting entities filing Form 1095-B,  Health Coverage, or Form 1095-C, Employer-Provided Health 
  Insurance Offer and Coverage, will not be subject to penalties for the inclusion of an incorrect TIN if 
  they comply with the requirements of Treas. Reg. 301.6724-1(f). 
  
   Note:     TIN solicitations made to the responsible individual for a policy or plan are treated as 
              TIN solicitations of every covered individual on the policy. 
                                                                                                           
  Additionally, a reporting entity is not required to solicit a TIN from an individual whose coverage is 
  terminated. 
 
   Reminder: If a corrected TIN is received from the payee, include it on any future information 
              return filed for that payee. A correction for a return with an incorrect TIN is not 
              required unless also correcting a money amount. However, an employer should 
              file a Form W-2c, Corrected Wage and Tax Statement, even if the employer is only 
              filing Form W-2c to correct an employee’s SSN. 
                                                                                                           
  In addition to the forms referenced in Part V, the following is a list of other forms commonly used for 
  annual solicitations: 

  Form W-8BEN, Certificate of Foreign Status of Beneficial Owner for United States Tax 
    Withholding and Reporting (Individuals), or a substitute, to solicit the TIN for a nonresident 
    alien, foreign entity, or exempt foreign person not subject to certain U.S. information return 
    reporting or backup withholding 
  Form W-8ECI, Certificate of Foreign Person’s Claim that Income is Effectively Connected With 
    the Conduct of a Trade or Business in the United States 
  Form W-8EXP, Certificate of Foreign Government or Other Foreign Organization for United 
    States Tax Withholding and Reporting 
  Form W-8IMY, Certificate of Foreign Intermediary, Foreign Flow-Through Entity, or Certain 
    U.S. Branches for United States Tax Withholding and Reporting 
     
  Exceptions to the Requirement for Two Annual Solicitations 
  In most cases, following the preceding rules will meet the requirements for acting in a responsible 
  manner for reasonable cause for a penalty related to missing/incorrect TINs. However, there are 
  exceptions to the requirement for two annual solicitations: 
 
  1.  For Form 1098, Mortgage Interest Statement, a solicitation must be made annually until 
    receipt of the TIN of the payee of record. 
  2.  For Form 1099-S, Proceeds from Real Estate Transactions, an initial solicitation must be 
    completed by the due date of the related real estate closing. No additional solicitation is 
    required. 
  3.  For Form 1098-E, Student Loan Interest Statement, a solicitation must be made each year 
    during which any person engaged in a trade or business that receives from any payer interest 
    payments that aggregate $600 or more for any calendar year on one or more qualified 
    education loans. 

                                               12 



- 16 -
  4.  For Form 1098-T, Tuition Statement, a solicitation must be made each year during which the 
    institution or insurer receives payments for qualified tuition and related expenses or makes 
    reimbursements, refunds, or reductions of such amounts with respect to the individual. 
    However, educational institutions that fail to include the TIN of a student on Form 1098-T 
    will not be subject to penalties under IRC 6721 and IRC 6722 if they certify, under penalty 
    of perjury, as required by Form 1098-T, that they have complied with the requirements for 
    obtaining the student’s TIN. 
  5.  If an account is closed in the same year in which a penalty notice is received for that account, 
    do the required solicitation if reportable payments were paid to the account in that year, or if 
    otherwise required to file a return for that account for that year. 
  6.  If a backup withholding notice (CP2100/CP2100A) is received for an incorrect payee name 
    and/or TIN, the payer must follow the backup withholding rules under IRC 3406 for sending 
    B notices to the payee. If the payer also receives a penalty notice for an incorrect TIN, for the 
    same payee, either during the same calendar year or for information returns filed for the same 
    year, and the payer has sent the required B notices under the backup withholding rules, the 
    payer is not required to also make annual solicitations for correct TINs pursuant to IRC 6724. 
    See Publication 1281 for more information related to CP2100/CP2100A. 
  7.  If the filer fails to make one or more of the required solicitations, the filer may make two 
    consecutive annual solicitations in subsequent years (“make-up solicitations”). 

 Comparison of IRS Payee Listing to Your Records 
  1.  Compare the listing of incorrect TINs with existing records to determine if the name/ TIN 
    combinations agree or disagree with those records. 
  2.  If the name/TIN combination on the listing agrees with the records, do the required solicitation. 
  3.  If the name/TIN combination on the listing disagrees with the records, a solicitation is not 
    required. Determine if: 
    a. An error in the name/TIN combination was made when filing the information return. If so, 
       include the correct name/TIN combination on any future information returns filed. File a 
       Form W-2c, Corrected Wage and Tax Statement, even if the employer is only filing Form 
       W-2c to correct an employee’s SSN. 
    b. The name/TIN combination was updated in the records after the information return was 
       filed. If it was, include it on any future returns and file a Form W-2c even if only filing Form 
       W-2c to correct an employee’s SSN. 
    c. The information was incorrectly read by IRS during processing. If so, notate on the 
       records and take no further action. 
 
   Reminder: A filer required to report federal tax withholding on Form 945 is required to use the 
              same EIN when the associated information returns are filed. 
                                                                                                         
                                           13 



- 17 -
 VII. FORM W-2 SSN SOLICITATIONS 

 In general, the solicitation rules with respect to missing or incorrect TINs on Form W-2 are the same 
 as discussed in sections V and VI. An employer must make an initial solicitation for the employee’s 
 SSN at the time the employee begins work. The initial solicitation of the employee’s SSN may be 
 made in person, by oral request, or by written request. The SSN may also be requested through 
 other communications, by mail, telephone, or electronic means. The employer may rely in good 
 faith on the number provided by the employee and use it when filling out the employee’s Form W-2. 
 Employees are required to complete Form I-9, Employment Eligibility Verification, to establish that 
 they are legally eligible to work in the U.S. 

 An employer has an obligation to ask for Form W-4 from a new employee. Under IRC 3402(f)(2)(A), 
 on commencement of employment, an employee must provide a signed Form W-4 (or a substitute 
 form) stating the number of withholding exemptions claimed by the employee. 

 Since the employee is required to furnish Form W-4 to the employer on commencement of 
 employment, Form W-4 may be used as the initial solicitation of the employee’s SSN. An employer 
 who retains the Form W-4 in its records will be able to document that an initial solicitation of a TIN 
 was made, verifying that it acted in a responsible manner. 

 Employers may use the SSA’s SSN verification systems to verify the employee’s name and SSN, 
 but there is no IRS requirement to do so. The option is useful for employers to identify potential 
 discrepancies and correct SSNs before receiving a penalty notice. For more information, go to 
 www.socialsecurity.gov/employer. 

 Generally, SSA and IRS records are consistent. However, it is important to note that the database 
 used by SSA to match names and SSNs may not be identical to the IRS database. IRS penalty 
 notices relating to mismatched TINs are based and issued exclusively on IRS system information. 
 Mismatches reported under SSA verification systems are not considered IRS notices and do not 
 trigger any further solicitation requirements under IRS rules for reasonable cause waivers. However, 
 if an employer receives a mismatch notice from SSA, the employer may wish to re-solicit the 
 employee’s SSN and try to obtain correct information prior to filing the Form W-2. 
 
 VIII. INFORMATION RETURN PENALTY RATES 

 The Trade Preferences Extension Act (TPEA) of 2015, section 806, increased the IRC 6721 and IRC 
 6722 base penalty rates from $100 to $250 for each return that failed to comply with information return 
 filing requirements. The  calendar year maximum penalties for both large and small businesses also 
 increased. In addition, IRC 6721(f) and IRC 6722(f) provide for annual inflationary adjustments to the 
 IRC 6721 and IRC 6722 penalty rates and calendar year maximum penalties for returns required to be 
 filed and furnished on or after January 1, 2016.

                                                 14 



- 18 -
          IRC 6721 & IRC 6722 - Large Businesses with Gross Receipts of More Than $5 Million and 
                                       Government Entities (Other Than Federal Entities) 

                              (Average annual gross receipts for the most recent 3 taxable years) 
  Time of correct filing      Not more than 30  31 days late -                                    Intentional 
                                                                    After August 1 
                              days late         August 1                                          disregard 
  Due 01-01-2024 thru         $60 per return or $120 per return or  $310 per return or   $630 per return or 
    12-31-2024                statement         statement           statement                     statement 
  (with inflation adjustments $630,500 maximum  $1,891,500 maximum  $3,783,000 maximum            No maximum  
  Rev. Proc. 2022-38) 
  Due 01-01-2023 thru                                                                              
    12-31-2023                $50 per return or $110 per return or  $290 per return or   $580 per return or 
  (with inflation adjustments statement         statement           statement                     statement 
  Rev. Proc. 2021-45)         $588,500 maximum  $1,766,000 maximum  $3,532,500 maximum            No maximum 
  Due 01-01-2022 thru                                                                              
    12-31-2022                $50 per return or $110 per return or  $280 per return or   $570 per return 
  (with inflation adjustments statement         statement           statement                     or statement 
  Rev. Proc. 2020-45)         $571,000 maximum  $1,713,000 maximum  $3,426,000 maximum            No maximum 
  Due 01-01-2021 thru                                                                              
    12-31-2021                $50 per return or $110 per return or  $280 per return or   $560 per return 
  (with inflation adjustments statement         statement           statement                     or statement 
  Rev. Proc. 2019-44)         $565,000 maximum  $1,696,000 maximum  $3,392,000 maximum            No maximum 
  Due 01-01-2020 thru                                                                              
    12-31-2020                $50 per return or $110 per return or  $270 per return or   $550 per return 
  (with inflation adjustments statement         statement           statement                     or statement 
  Rev. Proc. 2018-57)         $556,500 maximum  $1,669,500 maximum  $3,339,000 maximum            No maximum 
  Due 01-01-2019 thru                                                                              
    12-31-2019                $50 per return or $100 per return or  $270 per return or   $540 per return 
  (with inflation adjustments statement         statement           statement                     or statement 
  Rev. Proc. 2018-18)         $545,500 maximum  $1,637,500 maximum  $3,275,500 maximum            No maximum 
  Due 01-01-2018 thru                                                                              
    12-31-2018                $50 per return or $100 per return or  $260 per return or   $530 per return 
  (with inflation adjustments statement         statement           statement                     or statement 
  Rev. Proc. 2016-55)         $536,000 maximum  $1,609,000 maximum  $3,218,500 maximum            No maximum 
  Due 01-01-2017 thru                                                                              
    12-31-2017                $50 per return or $100 per return or  $260 per return or   $530 per return 
  (with inflation adjustments statement         statement           statement                     or statement 
  Rev. Proc. 2015-53)         $532,000 maximum  $1,596,500 maximum  $3,193,000 maximum            No maximum 

  Due 01-01-2016 thru                                                                              
    12-31-2016                $50 per return or $100 per return or  $260 per return or   $520 per return 
  (with inflation adjustments statement         statement           statement                     or statement 
  Rev. Proc. 2016-11)         $529,500 maximum  $1,589,000 maximum  $3,178,500 maximum            No maximum 
                              $30 per return or $60 per return or   $100 per return or   $250 per return 
  Due 01-01-2011 thru                                                                             or statement 
                              statement         statement           statement 
    12-31-2015                                                                                    No maximum 
                              $250,000 maximum  $500,000 maximum    $1,500,000 maximum 
  
   Note: Increased penalty amounts may apply for certain failures in the case of intentional 
          disregard. In some cases, the penalty amounts in the case of intentional disregard 
          may be larger than the figures in this chart and may depend on the aggregate amount 
          required to have been reported. See IRC 6721(e)(2) and IRC 6722(e)(2). The penalty 
          amounts above apply separately to each IRC 6721 and IRC 6722. 
                                                                                                             
                                                15 



- 19 -
               IRC 6721 & IRC 6722- Small Businesses with Gross Receipts $5 Million or Less 

                         (Average annual gross receipts for the most recent 3 taxable years) 
  Time of correct filing      Not more than 30  31 days late -      After August 1      Intentional 
                              days late         August 1                                     disregard 
  Due 01-01-2024 thru 
                              $60 per return or $120 per return or  $310 per return or  $630 per return or 
    12-31-2024                statement            statement        statement                statement 
  (with inflation adjustments 
  Rev. Proc. 2022-38)         $220,500 maximum  $630,500 maximum    $1,261,000 maximum       No maximum 
  Due 01-01-2023 thru 
                              $50 per return or $110 per return or  $290 per return or  $580 per return or 
   12-31-2023 
                              statement            statement        statement                statement 
  (with inflation adjustments 
                              $206,000 maximum  $588,500 maximum    $1,177,500 maximum 
  Rev. Proc. 2021-45)                                                                        No maximum 
  Due 01-01-2022 thru 
                              $50 per return or $110 per return or  $280 per return or  $570 per return or 
    12-31-2022 
                              statement         statement           statement                statement 
  (with inflation adjustments 
  Rev. Proc. 2020-45)         $199,500 maximum  $571,000 maximum    $1,142,000 maximum       No maximum 
  Due 01-01-2021 thru 
                              $50 per return or $110 per return or  $280 per return or  $560 per return or 
    12-31-2021 
                              statement         statement           statement                statement 
  (with inflation adjustments 
  Rev. Proc. 2019-44)         $197,500 maximum  $565,000 maximum    $1,130,500 maximum       No maximum 
  Due 01-01-2020 thru 
                              $50 per return or $110 per return or  $270 per return or  $550 per return or 
    12-31-2020 
                              statement         statement           statement                statement 
  (with inflation adjustments 
  Rev. Proc. 2018-57)         $194,500 maximum  $556,500 maximum    $1,113,000 maximum       No maximum 
  Due 01-01-2019 thru 
                              $50 per return or $100 per return or  $270 per return or  $540 per return or 
    12-31-2019 
                              statement         statement           statement                statement 
  (with inflation adjustments 
  Rev. Proc. 2018-18)         $191,000 maximum  $545,500 maximum    $1,091,500 maximum       No maximum 
  Due 01-01-2018 thru 
                              $50 per return or $100 per return or  $260 per return or  $530 per return or 
    12-31-2018 
                              statement         statement           statement                statement 
  (with inflation adjustments 
                                                                    $1,072,500 maximum  
  Rev. Proc. 2016-55)         $187,500 maximum  $536,000 maximum                             No maximum 
  Due 01-01-2017 thru 
                              $50 per return or $100 per return or  $260 per return or  $530 per return or 
    12-31-2017 
                              statement         statement           statement                statement 
  (with inflation adjustments 
  Rev. Proc. 2015-53)         $186,000 maximum  $532,000 maximum    $1,064,000 maximum       No maximum 
  Due 01-01-2016 thru 
                              $50 per return or $100 per return or  $260 per return or  $520 per return or 
    12-31-2016 
                              statement         statement           statement                statement 
  (with inflation adjustments 
  Rev. Proc. 2016-11)         $185,000 maximum  $529,500 maximum    $1,059,500 maximum       No maximum 
                              $30 per return or $60 per return or   $100 per return or  $250 per return or 
  Due 01-01-2011 thru 
                              statement         statement           statement                statement 
    12-31-2015 
                              $75,000 maximum   $200,000 maximum    $500,000 maximum         No maximum 
  
   Note:    Increased penalty amounts may apply for certain failures in the case of intentional 
             disregard. In some cases, the penalty amounts in the case of intentional disregard 
             may be larger than the figures in this chart and may depend on the aggregate amount 
             required to have been reported. See IRC 6721(e)(2) and IRC 6722(e)(2). The penalty 
             amounts above apply separately to each IRC 6721 and IRC 6722. 
                                                                                                         
                                                16 



- 20 -
 IX. IRS MATCHING PROCESS AND NAME CONTROLS 

 This section provides an overview of the IRS TIN matching process and the development of name 
 controls on returns submitted electronically. 

 All information returns filed must include a correct name/TIN combination to allow for the matching 
 of the information reported against the income included on the payee’s income tax return. A 
 verification check is performed to determine whether a name/TIN combination is correct by 
 matching it against a file containing all SSNs issued by SSA and against a file containing all EINs and 
 other TINs issued by IRS. 

 The name control (if provided) on an electronically filed information return is compared to the name 
 control on file. If a name control is not provided or is provided incorrectly, one is developed from 
 the name(s) provided on the first two name lines (up to 40 characters for each name line including 
 spaces) of the information return. If a match can be made, it is considered correct. If a match is not 
 found, the name/TIN combination is considered incorrect. 

 A name control usually consists of up to four characters. To help ensure that the name/ TIN 
 combination for an account matches the name/ TIN combination on SSA or IRS files, use the 
 following information when filing information returns: 
 
 Individuals 
 A name control for an individual is generally the first four characters of the last name on the 
 information return. 

   The name control consists of up to four alpha and/or numeric characters. 
   The hyphen (-) or a blank space are the only special characters allowed in the name control. 
     These characters cannot be in the first position of the name control. 
   The name control can have less, but no more than four characters. Blanks may be present 
     only as the last three positions of the name control. 
   If an individual has a hyphenated last name, the name control is the first four characters from 
     the first of the two last names. 
   For joint returns, regardless of whether the payees use the same or different last names, the 
     name control is the first four characters of the primary payee’s last name. 
 
                                      Examples - Individuals 
                         Name                                Name Control 
 Ralph Teak                                      TEAK 
 Dorothy Willow                                  WILL 
 Joe McCedar                                     MCCE 

 Brandy Cedar-Hawthorn                           CEDA 

 Victoria  Windsor-Maple                         WIND 

 Joseph Ash & Linda Birch                        ASH 

 Edward & Joan Maple                             MAPL 

                                               17 



- 21 -
  Reminder:        If a payee’s last name has been changed, for instance, due to marriage, advise 
                    the payee to contact SSA. SSA will issue a new social security card reflecting the 
                    payee’s new name and will automatically send the IRS the new name. To change 
                    the name shown on a social security card, the payee should complete SSA Form 
                    SS-5, Application for a Social Security Card. Form SS-5 is available at www.ssa. 
                    gov or by calling SSA at 1-800-772-1213 (TTY 1-800-325-0778) or by visiting a 
                    local SSA office. 
                                                                                                           
 Sole Proprietors (not including Single-Member LLCs) 
A sole proprietor must always use his/her individual name as the legal name of the business for IRS 
purposes. 
 The name control consists of four alpha and/or numeric characters. 
 The name control can have less, but no more than four characters. 
 The hyphen (-) or a blank space are the only special characters allowed in the name control. 
   These characters cannot be in the first position of the name control. 
 When the taxpayer has a true name and a trade name, the name control is the first four 
   characters of the individual’s last name. 
 When an individual’s two last names are hyphenated, the name control is the first four 
   characters of the first last name. 
                                      Examples - Sole Proprietors 

              Name                    Name Control                          Comment 
 True Name: Arthur P. Aspen      ASPE                             The name control for a sole 
 Trade Name: Sunshine Restaurant                                  proprietor's name is the first four 
                                                                  significant characters of the last 
                                                                  name. 
 Maiden Name: Jane Smith         JONE                             When two last names are used 
 Married Name: Jane Smith Jones                                   but are not hyphenated, the name 
 Jane Smith-Jones                SMIT                             control is the first four characters 
                                                                  of the second last name. When the 
                                                                  last name is hyphenated, the name 
                                                                  control is the first four characters of 
                                                                  the first last name. 
 Elena de la Rosa                DELA                             The Spanish phrases "de", "De", 
                                                                  "del", and "de la" are part of the 
                                                                  name control. 
 Juan Garza Morales              GARZ                             For Spanish names, when an 
 Maria Lopez Moreno              LOPE                             individual has two last names, 
                                                                  the name control is the first four 
                                                                  characters of the first last name. 
 Sunny Ming Lo                   LO                               For last names that have only two 
                                                                  letters the last two spaces will be 
                                                                  "blank". 
                                                                  Blanks may be present only as the 
                                                                  last three positions of the name 
                                                                  control. 
 Kim Van Nguyen                  NGUY                             Vietnamese names will often have 
                                                                  a middle name of Van (male) or Thi 
                                                                  (female). 

                                             18 



- 22 -
 Partnerships and Single-Member LLCs 
 The name control for a partnership will usually result in the following order of selection: 

 1.  For businesses “doing business as” (dba) or with a trade name, use the first four characters of 
 the dba or trade name. 
 2.  If there is no business or trade name, use the first four characters of the partnership name 
 (even if it is an individual’s name, such as in a law firm partnership). 
 3.  Online receipt of EINs generates separate rules for the name control of partnerships. 
 4.  Whether received online or via paper, if the first word is “The,” disregard it unless it is followed 
 by only one other word. 
 5.  If the EIN was assigned online (the EIN will begin with one of the following two digits: 20, 26, 
 27, 45, 46, 47, 81, 82, 83, 84, 85, or 86), then the name control for a partnership is developed 
 using the first four characters of the primary name line. 
 6.  If the first two digits of the EIN are other than 20, 26, 27, 45, 46, 47, 81, 82, 83, 84, 85, or 86 
 the name control for a partnership, results from the trade or business name of the partnership. 
 If there is no trade or business name, a name control results from the first four letters of 
 a partnership name. In the case of a list of partners followed by the word partnership or 
 an abbreviation thereof, use the last name of the first partner on the original Form SS-4, 
 Application for Employer Identification Number. 
 
                              Examples - Partnerships 
                              Name                                        Name Control 
 Rosie's Restaurant                                            ROSI 

 Burgandy Olive & Cobalt Ptrs                                  BURG 

 The Hemlock                                                   THEH 
 John Willow and James Oak Partnership (EIN assigned online)   JOHN 

 A.S. Green (The) Oak Tree                                     OAKT 
 K.L. Black & O. H. Brown                                      BLAC 
 Bob Orange and Carol Black et al. Prs. Dba The Merry Go Round MERR 

                                     19 



- 23 -
 Corporations 

 The name control for a corporation is the first four significant characters of the corporate name. 
 
                                    Examples - Corporations 
              Name                       Name Control                        Comment 
 The Meadowlark Company             MEAD                               Omit the word "The" when followed 
                                                                       by more than one word. 
 The Flamingo                       THEF                               Include the word "The" in the name 
                                                                       control when followed by only one 
                                                                       word. 
 George Giraffe PSC                 GEOR                               Corporate name control rules apply 
                                                                       if an individual name contains the 
                                                                       abbreviations PC (Professional 
                                                                       Corporation), SC (Small Corporation), 
                                                                       PA (Professional Association), PS 
                                                                       (Professional Service), or PSC 
                                                                       (Personal Service Corporation). 

 Kathryn Canary Memorial Foundation KATH                               When the organization name contains 
                                                                       the words "Fund" or "Foundation", 
                                                                       corporate name control rules apply. 

 Barbara J. Zinnia ZZ Grain         ZZGR                               When an individual name and a 
                                                                       corporate name appear, the name 
                                                                       control is the first four characters of 
                                                                       the corporate name. 
 
 Estates, Trusts, and Fiduciaries 
 The name control for estates is the first four characters of the last name of the decedent. The last 
 name of the decedent must have the word “Estate” after the first four characters in the primary name 
 line. 

 The name control for trusts and fiduciaries results in the following: 

 1.  Name controls for individual trusts are created from the first four characters of the individual’s 
       last name. 
 2.  For corporations set up as trusts, use the first four characters of the corporate name. 
 3.  There are separate rules for the name control of trusts, depending on whether the EIN is an 
       online assignment. 
 4.  If the EIN is assigned online (the EIN will begin with one of the following two digits: 20, 26, 27, 
       45, 46, 47, 81, 82, 83, 84, 85, or 86), then the name control is developed using the first four 
       characters of the first name on the primary name line. Ignore leading phrases such as “Trust 
       for” or “Irrevocable Trust.” 
 5.  If the first two digits of the EIN are other than 20, 26, 27, 45, 46, 47, 81, 82, 83, 84, 85, or 86 
       then the name control for a trust or fiduciary account results from the name of the person in 
       whose name the trust or fiduciary account is established. 

                                         20 



- 24 -
                                    Examples - Estates, Trusts, and 
                                                 Fiduciaries 
                                    Name                                   Name Control 
 Howard J. Smith Dec'd 
 Howard J Smith, Estate                                                    SMIT 

 Howard J. Smith Dec'd 
 Howard J Smith, Estate (EIN assigned online)                              HOWA 

 Michael T Azalea Revocable Trust 
 Michael T Azalea Rvoc Trust                                               AZAL 

 Sunflower Company Employee Benefit Trust                                  SUNF 
 Jonathan Periwinkle Memory Church Irrevocable Trust (EIN assigned online) PER 

 Trust for the benefit of Bob Jones (EIN assigned online)                  BOBJ         

 Trust for the benefit of Bob Jones                                        JONE 
 
 Other Organizations 
 Compliance with the following will facilitate the computer programs in identifying the correct name 
 control: 

 1.  The only organization, which the filer will always abbreviate, is Parent Teachers Association 
 (PTA). The name control will be “PTA” plus the first letter of the name of the state in which the 
 PTA is located. 
 2.  The name control for a local or post number is the first four characters of the national title. 
 3.  Use the name control of the national organization name if there is a Group Exemption Number 
 (GEN). 
 4.  For churches and their subordinates (for example nursing homes, hospitals), the name control 
 consists of the first four characters of the legal name of the church or subordinate. 
 5.  If the organization’s name indicates a political organization, use the individual’s name as the 
 name control. 
 6.  The words Kabushiki Kaisha or Gaisha are the Japanese translation of the words “stock 
 company” or “corporation.” Therefore, if these words appear in a name line, these words 
 would move to the end of the name where the word corporation” would normally appear. 
 
                                    Examples - Other Organizations 
                                    Name                                   Name Control 
 Parent Teachers Association Congress of Georgia                           PTAG 
 Church of All                                                             CHUR 
 Committee to Elect Patrick Dole:                                          PATR 

 Green Door Kabushiki Kaisha                                               GREE 

                                                          21 



- 25 -
 X.  WHERE TO CALL FOR HELP 

 Questions related to accessing CD/DVD (see parts XI and XII) or recreating Notice 972CG may 
 be directed to the Technical Service Operation (TSO) Centralized Call Site at 866-455-7438 (It is 
 important to listen to all options before making your selection) or from outside the U.S. at 304- 
 263-8700. Other questions and correspondence related to reasonable cause are to be sent to the 
 address provided on the notice. 

 To order Publication 1635, Understanding Your EIN; Form W-9, Request for Taxpayer Identification 
 Number and Certification; and/or Publication 15 (Circular E), Employer’s Tax Guide, call the IRS at 
 800-829-3676. 

 The above referenced forms, publications, and additional information are also available on the IRS 
 website at www.irs.gov. 
 
 XI. FORM 10301, CD ENCRYPTION CODE AUTHORIZATION FOR 
     CP2100/972CG/972F NOTICES 

 Form 10301 is used by filers of information returns to self-assign a Personal Identification Number 
 (PIN) that will be used in conjunction with an encryption code (obtained by calling 866-455-7438) to 
 access the information contained on the CD/DVD. To obtain the form, select Forms & Instructions on 
 www.irs.gov. The form should be mailed to: 

 Internal Revenue Service 
 230 Murall Drive 
 Mail Stop 4360 
 Kearneysville, WV 25430 
 It may also be submitted via fax to: 877-477-0572 or from outside the U.S. 304-579-4105. 
 
     Note:   It will take the IRS five business days to process the forms upon receipt. 
 
 XII. INSTRUCTIONS FOR READING CD/DVDs 

 Information about the CD/DVD 
 Payers who filed in excess of 250 Incorrect TIN payee “B” records will have data delivered on a CD 
 (for data files of 750Mb or less). Greater than 750Mb will be provided on a DVD. The correct reader 
 type is required to access the media (CD or DVD) type. 

 The files described below are on each CD/DVD: 

    I40642 Annnnn ** is the Payer A-Record file. 114 Characters. 
    I40642 Bnnnnn ** is all the Incorrect Payee B-Records. 222 Characters each. 
    I40642 Cnnnnn ** is the Payer C-Record file. 37 Characters. 
    A Copy of Publication 1586, Reasonable Cause Regulations & Requirements for Missing and 
      Incorrect Name/TINs (including instructions for reading CD/DVDs) 
    Instructions for opening a CD/DVD 
    Form 10301, CD Encryption Code Authorization for CP 2100/972CG Notices 
 ** nnnnn is the CD/DVD transmittal number. 

                                               22 



- 26 -
  The files are .txt files. Reading them with Notepad, word processing software, etc. will reflect the 
  Pipe Codes “I” as separate characters between each field. Opening them in Excel software will allow 
  reading them as a delimited file setting the delimiters as pipes “I”. The files will be laid out without 
  the Pipe Codes “I”, exactly as laid out in prior year cartridges. 
  
    Note: If using certain software, be careful to set or convert fields to text so that leading 
           zeros are not truncated or blanked out. 
                                                                                                                      
  The enclosed CD/DVD is encrypted for security purposes and an encryption code is needed to 
  unlock it. The table below provides instructions on how to receive an encryption code and how to 
  extract the files. 
 
   Step                             Action 
        Gather the company name, the TIN, a primary or secondary contact, and your self- assigned PIN number. 
        A Form 10301, CD Encryption Code Authorization for CP2100/972CG Notices, should have been 
        previously completed and submitted to the IRS. This form notifies the IRS of the self-selected PIN that will 
        be used. 
   1    Insert the CD/DVD in the appropriate drive on your computer. 
        Call the IRS at 866-455-7438 or 304-263-8700 to receive a random- generated encryption code. 
   
        If the "Auto-Run" feature is turned on, the system will bring up a pop-up window with the message: 
   2    "Please contact the IRS at 866 455-7438 or 304-263-8700 to receive an encryption code." 

        If "Auto-Run" is not turned on, the pop-up window will not appear, but the IRS must still be contacted at 
        866-455- 7438 or 304-263-8700 to receive an encryption code. 

        Input the random-generated encryption code by double-clicking on the .exe file on the CD/DVD. (The CD/ 
   3 
        DVD contains only one file on the initial start-up.) 

        Put in the random generated encryption code and click "OK". The next screen will provide instructions for 
   4 
        browsing the folder tree and selecting where to extract the files. 
   5    Click on "OK" to begin the process of extracting and importing the files. 

  The information can be imported into an existing database or into other types of databases. The 
  information can also be accessed via an Excel spreadsheet or a similar type of software. However, 
  we have included instructions for importing the information into a Microsoft Office Access database 
  because Access is capable of supporting a large file while some of the other software programs 
  have column or row limitations. 
  
    Note: The Internal Revenue Service does not endorse or recommend the use of any 
           particular software. 
                                                                                                                      
                                  23 



- 27 -
                            Importing the CD/DVD to Access Information 
  Step                                            Action 
       Open a new Microsoft Office Access database from your start menu or open an existing Microsoft Access 
  1 
       database. 
  2    Select "Create a new file" 
       In "New File", select "Blank database". Choose where to save DVD information (i.e. "Documents"/ 
  3    "Desktop" folder). Note: It is important to remember where this information is saved as this will be the 
       folder used to import the files later in the application. 
  4    Select "Create". A dialog box with "(File name) Database" appears. 
  5    Go to "File" on the "Toolbar" and select "Get External Data" and "Import". 
       In "Import", browse drop down screen to location of text file. Select file. Under "Files of Type", browse 
  6 
       drop down screen and select "Text File". 
  7    Select the text file to import. 
  8    Click "Import", which opens "Import Text Wizard". 
  9    In "Import Text Wizard", select "Delimited", then select "Next". 
       Select "Other" and insert a "Pipe" ("Shift and Backslash" keys- usually above "Enter" on the keyboard) in 
  10 
       the box next to "Other". Text qualifier should be "{none}". Select "Next". 
  11   Select "In a New Table". Select "Next". 
       Selecting one column at a time, highlight the field in the "Import Text Wizard" table (shown below as 
       Field1, Field2, through Field15 (the "Field Name" box will change to match the name of the Field column 
       that is being highlighted) and ensure "Text" is selected as the "Data Type" for each Field. If not, change the 
       "Data Type" field (using the dropdown screen) to "Text". This must be done in all 15 columns. Ensure that 
  
       all 15 fields' "Data Type" is "Text". Accept all other defaults. (Note: At this time, you can name/ customize 
       each field with the type of data that will be populated in it). 
  
       Select "Next". 

  12   Select "No Primary Key" (imports the data exactly). If "Add primary key" is selected, it will add a field in 
       the first column and will number the rows. Select "Next". 

       "Import to Table" should have the name of the file. Select "Finish". 

       An "Import Text Wizard" box appears that says "Finished importing file..." Click on "Ok". Double click on 
       Table Name. 

       Table should appear. 

       Note: To "Auto Format" each field, double click on the line in between the boxes. 

                                                24 



- 28 -
 Record Layouts - CD/DVD 
                              Payer “A” Record-CD/DVD 
  Position  Field Title     Length                 Description and Remarks 
  1         RECORD TYPE     1      AN "A" WILL BE ENTERED 
  2         Pipe Code       1      "I" 
                                   NUMBER USED BY THE IRS TO GROUP A PAYER'S 
  3-17      ACCESS KEY      15 
                                   INFORMATION RETURN TRANSMITTAL 
  18        Pipe Code       1      "I" 
                                   TWO DIGIT SERVICE CAMPUS CODE 
                                   BROOKHAVEN=19 
                                   CINCINNATI = 17 
  19-20     SERVICE CAMPUS  2 
                                   MEMPHIS = 49 
                                   OGDEN = 29 
                                   PHILADELPHIA = 28 
  21        Pipe Code       1      "I" 
  22-30     PAYER'S TIN     9      THE NINE-DIGIT NUMBER ASSIGNED BY THE IRS 
  31        Pipe Code       1      "I" 
  32-71     PAYER'S NAME    40     SELF-EXPLANATORY 
  72        Pipe Code       1      "I" 
            NUMBER OF              THE NUMBER OF INFORMATION RETURNS WITH MISSING 
  73-80                     8      AND INCORRECT TINS ASSOCIATED WITH THIS PAYER. IT 
            DOCUMENTS 
                                   WILL BE RIGHT JUSTIFIED AND ZERO FILLED 
  81        Pipe Code       1      "I" 
            BWH TIN STATUS         THE NUMBER OF DOCUMENTS SENT TO THE PAYER WITH 
  82-89                     8      A BWH-TIN-STATUS-IND EQUAL TO "1" (SEE PAYER "B" 
            1 CNT 
                                   RECORD). IT WILL BE RIGHT JUSTIFIED AND ZERO FILLED 
  90        Pipe Code       1      "I" 
            BWH TIN STATUS         THE NUMBER OF DOCUMENTS SENT TO THE PAYER WITH A 
  91-98                     8      BWH-TIN-STATUS-IND EQUALTO "2" (SEE PAYER "B" RECORD) 
            2 CNT 
                                   IT WILL BE RIGHT JUSTIFIED AND ZERO FILLED. 
  99        Pipe Code       1      "I" 
            BWH TIN STATUS         THE NUMBER OF DOCUMENTS SENT TO THE PAYER WITH A 
  100-107                   8      BWH-TIN-STATUS-IND EQUALTO "3" (SEE PAYER "B" RECORD) 
            3 CNT 
                                   IT WILL BE RIGHT JUSTIFIED AND ZERO FILLED. 
  108       Pipe Code       1      "I" 
  109       FILLER          1      BLANK FILLED 
  110       Pipe Code       1      "I" 
  111-114   TAXYEAR         4      TAX YEAR DOCUMENTS WERE SUBMITTED 

                                       25 



- 29 -
                              Payer “B” Record-CD/DVD 
  Position  Field Title     Length                 Description and Remarks 
  1         RECORD   TYPE   1      A "B" WILL BE ENTERED   
  2         Pipe Code       1      "I" 
  3-11           TIN        9      THE PAYEE'S TIN 
  12        Pipe Code       1      "I" 
                                   "1" MISSING TIN 
  13        BWH TIN STATUS  1      "2" NOT CURRENTLY ISSUED 
                                   "3" INCORRECT NAME/TIN 
  14        Pipe Code       1      "I" 
  15-19          TCC        5      TRANSMITTER CONTROL CODE 
  20        Pipe Code       1      "I" 
                                   "02" = Form 1042-S 
                                   "10" = Form 1099-K 
                                   "25" = Form 3921 
                            
                                   "26" = Form 3922 
                                   "32" = Form W2-G 
                                   "50" = Form 1097-BTC 
                                   "71" = Form 1099-NEC 
                                   "75" = Form 1099-S 
                                   "79" = Form 1099-B 
                                   "80" = Form 1099-A 
                                   "81" = Form 1098 
  21-22     DOC TYPE        2 
                                   "83" = Form 1098-T 
                                   "84" = Form 1098-E 
                                   "85" = Form 1099-C 
                                   "86" = Form 1099-G 
                                   "91" = Form 1099-DIV 
                                   "92" = Form 1099-INT 
                                   "93" = Form 1099-LTC 
                                   "95" = Form 1099-MISC 
                                   "96" = Form 1099-OID 
                                   "97" = Form 1099- PATR 
                                   "98" = Form 1099-R 
  23        Pipe Code       1      "I" 
  24-43     ACCT NUMB       20     PAYEE'S ACCOUNT NUMBER FROM PAYER 
  44        Pipe Code       1      "I" 
  45-84     NAME LINE       40     PAYEE'S NAME LINE 1 
  85        Pipe Code       1      "I" 
  86-125    NAME LINE       40     PAYEE'S NAME LINE 2 
  126       Pipe Code       1      "I" 
  127-166   STR. ADDRESS    40     PAYEE'S STREET   ADDRESS 
  167       Pipe Code       1      "I" 
  168-197   CITY            30     PAYEE'S CITY 
  198       Pipe Code       1      "I" 
  199-200   STATE CODE      2      PAYEE'S STATE CODE 
  201       Pipe Code       1      "I" 
  202-206   ZIP CODE        5      PAYEE'S STATE CODE 
  207       Pipe Code       1      "I" 

                                       26 



- 30 -
                                   "1" = Payer indicated EIN 
  208       TIN INDICATOR   1      "2" = Payer indicated SSN 
                                   "0" = no TIN indicated 
  209       Pipe Code       1      "I" 
  210-213   FILLER          4      BLANK FILLED 
  214       Pipe Code       1      "I" 
  215-222   SEQUENCE        8      NUMBER OF THE RECORD AS IT APPEARED IN THE FILE 
 
                              Payer “C” Record-CD/DVD 
  Position  Field Title     Length               Description and Remarks 
  1         RECORD TYPE     1      A "C" WILL BE ENTERED   
  2         Pipe Code       1      "I" 
            NUMBER OF              THE NUMBER OF INFORMATION RETURNS WITH MISSING 
  3-10                      8      AND INCORRECT TINS ASSOCIATED WITH THIS PAYER. IT 
            DOCUMENTS 
                                   WILL BE RIGHT JUSTIFIED AND ZERO FILLED 
  11        Pipe Code       1      "I" 
            BWH TIN STATUS         THE NUMBER OF DOCUMENTS SENT TO THE PAYER WITH 
  12-19                     8      A BWH-TIN-STATUS-INDEQUAL TO"1" (SEE PAYER "B" 
            1 CNT 
                                   RECORD). IT WILL BE RIGHT JUSTIFIED AND ZERO FILLED 
  20        Pipe Code       1      "I" 
            BWH TIN STATUS         THE NUMBER OF DOCUMENTS SENT TO THE PAYER WITH A 
  21-28                     8      BWH-TIN-STATUS-INDEQUAL TO"2" (SEE PAYER "B" RECORD) 
            2 CNT 
                                   IT WILL BE RIGHT JUSTIFIED AND ZERO FILLED. 
  29        Pipe Code       1      "I" 
            BWH TIN STATUS         THE NUMBER OF DOCUMENTS SENT TO THE PAYER WITH A 
  30-37                     8      BWH-TIN-STATUS-INDEQUAL TO"3" (SEE PAYER "B" RECORD) 
            3 CNT 
                                   IT WILL BE RIGHT JUSTIFIED AND ZERO FILLED. 
 
                                       27 






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