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This revenue procedure provides guidance under § 7701 of the Internal Revenue Code for entities newly formed under local law that request relief for a late initial classification election filed by
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How to fill out Rev. Proc. 2002–59

01
Obtain the Rev. Proc. 2002-59 document from the IRS website or relevant tax authority.
02
Read the introduction and purpose sections to understand the context of the procedure.
03
Gather all necessary documentation and information required for the application or submission.
04
Follow the step-by-step instructions provided in the document, making sure to fill in all required fields accurately.
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Review your completed form to ensure all information is correct and complete.
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Submit the form according to the instructions, ensuring you keep a copy for your records.

Who needs Rev. Proc. 2002–59?

01
Taxpayers who wish to apply for relief under certain tax conditions outlined in Rev. Proc. 2002-59.
02
Individuals or businesses that need guidance on specific tax issues as defined by the procedure.
03
Tax professionals assisting clients with situations covered by Rev. Proc. 2002-59.
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Rev. Proc. 2002–59 is a revenue procedure issued by the IRS that defines the procedures for taxpayers to follow when requesting relief from penalties related to certain underpayments of tax.
Taxpayers who believe they qualify for penalty relief due to reasonable cause or other specific reasons are required to file Form 843 and may reference Rev. Proc. 2002–59 in their request.
To fill out Rev. Proc. 2002–59, taxpayers must provide detailed information regarding their case, including a description of the reasonable cause for the penalty, and submit the appropriate forms, typically Form 843, with supporting documentation.
The purpose of Rev. Proc. 2002–59 is to provide guidance on how taxpayers can gain relief from penalties imposed for underpayment of tax due to reasonable causes, thereby promoting fairness in tax administration.
Taxpayers must report information including the type of penalty, the period for which the penalty was assessed, a statement of facts concerning the circumstances that led to the underpayment, and any documentation supporting their claim for relief.
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