New York Jury Instruction — 10.10.6 Section 6672 Penalty relates to a specific portion of New York's jury instructions regarding penalties under Section 6672 of the Internal Revenue Code. This jury instruction provides guidance to jurors on how to determine the appropriate penalties in cases involving willful failure to collect, account for, or pay over payroll taxes. Under Section 6672 of the Internal Revenue Code, individuals who are responsible for collecting and paying over payroll taxes may be subject to penalties if they willfully fail to comply with their duty. The New York Jury Instruction — 10.10.6 Section 6672 Penalty explains to jurors the elements that need to be proven for imposing this penalty. This instruction is crucial in cases where the government seeks to hold individuals accountable for their responsibilities regarding payroll taxes. The penalties involved can be substantial and may include fines and potential criminal charges. Jurors play a vital role in evaluating the evidence presented and determining whether the defendant's actions were willful and deserving of the Section 6672 penalty. It is important to note that there may not be different "types" of New York Jury Instruction — 10.10.6 Section 6672 Penalty. The instruction itself likely remains consistent, providing jurors with the necessary legal framework to assess a defendant's liability and potential penalties. To summarize, the New York Jury Instruction — 10.10.6 Section 6672 Penalty is a critical part of the jury's role in cases involving willful failure to collect, account for, or pay over payroll taxes. By following this instruction, jurors can evaluate the evidence presented and determine whether the defendant should be subject to the penalties outlined in Section 6672 of the Internal Revenue Code.