The U.S. Tax Court held that a taxpayer’s microcaptive insurance arrangement lacked economic substance under section 7701(o) and upheld the imposition of 40 percent accuracy-related penalties under section 6662(b)(6) and (i) for nondisclosed noneconomic substance transactions. Taxpayers, through their closely held S corporation, paid premiums to related captive insurers and claimed deductions for those premiums as insurance expenses. In a prior opinion, the court determined that those payments were not deductible and sustained 20 percent accuracy-related penalties. Following additional briefing, the court concluded the arrangement failed both prongs of the economic substance test. The court applied the increased 40 percent ...
U.S. Tax Court Sustains 40 Percent Accuracy-Related Penalties in Microcaptive Insurance Case
May 8, 2026, 9:48 PM UTC