Idaho Code

Idaho Code § 63-3627 (2026)

Responsibility for taxes. 

✓ current as of May 2026
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Responsibility for taxes. 

(a) Every person with the duty to account for and pay over any tax which is imposed upon or required to be collected by any taxpayer under this chapter on behalf of such taxpayer as an officer, member or employee of such taxpayer, shall be personally liable for payment of such tax, plus penalties and interest, if he fails to carry out his duty.

(b)  Any such individual required to collect, truthfully account for, and pay over any tax imposed by this chapter who willfully fails to collect such tax, or truthfully account for and pay over such tax, or willfully attempts in any manner to evade or defeat any such tax or the payment thereof, shall, in addition to other penalties provided by law, be liable to a penalty equal to the total amount of the tax evaded, or not collected, or not accounted for and paid over. No penalty shall be imposed under section 63-3046(b), Idaho Code, for any offense to which this subsection (b) is applicable.
Notes of Decisions
Cited in 3 cases, 1978–2008 · leading case: State Tax Comm'n v. W. Elec., Inc., 580 P.2d 72 (Idaho 1978).
State Tax Comm'n v. W. Elec., Inc., 580 P.2d 72 (Idaho 1978). · cites it 10× “The individual defendants here are persons who might be liable for that corporation's unpaid taxes under the provisions of I.C. § 63-3627. [1] There is nothing in the statutory law entitling the State Tax Commission to determine that liability in a proceeding which is solely for…”
Arizona Dep't of Revenue v. Action Marine, Inc., 181 P.3d 188 (Ariz. 2008). · cites it 2× “§ 48-2-52 (1999); Idaho Code Ann. § 63-3627 (2007); 35 Ill.”
Ador v. Action marine/randall (Ariz. 2008). “§ 48 - 2-52 (1999); Idaho Code Ann. § 63-3627 (2007); 35 Ill.”
— Idaho Code § 63-3627(a) — 1 case
State Tax Comm'n v. W. Elec., Inc., 580 P.2d 72 (Idaho 1978). “The individual defendants here are persons who might be liable for that corporation's unpaid taxes under the provisions of I.C. § 63-3627. [1] There is nothing in the statutory law entitling the State Tax Commission to determine that liability in a proceeding which is solely for…”
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