Thursday, January 7, 2010
National Taxpayer Advocate's 2009 Annual Report to Congress
Nina Olson, the National Taxpayer Advocate, has released her Annual Report. The report can be found here.
*New* The return preparer review final report is now available.
The IRS has released it final report on return preparers and the report can be found here. The report contains recommendations for oversight of return preparers.
Friday, November 6, 2009
How to Audit Proof A Tax Return
An article has appeared in Forbes on "Ten Ways to Audit Proof Your Tax Return". The articles advises one way is not to file electronically.
Thursday, October 22, 2009
Taxpayer Cannot Rely on Google to Prove Reasonable Cause
Good-faith reliance on advice from an independent, competent professional as to the tax treatment of an item may meet the reasonable cause requirement for abatement of penalties. The Tax Court in Woodard v. Commissioner did not accept Mr. Woodard's argument that his research on the Internet using the Google search engine provided him with reasonable cause for the position he took when filing his 2004 tax return.
Tax Court Rules Cancellation of Debt Not Income
In the recent case of McCormick v Commissioner, the Tax Court held for the IRS to determine the amount of cancellation of indebtedness income properly attributed to the taxpayers, the Tax Court must determine the amount of the CitiFinancial and Chase debt that was definite and liquidated.
In this case, the Tax Court found that the IRS could not rely on the Forms 1099-C submitted by CitiFinancial and Chase as evidence of the amount of debt that was definite and liquidated. Section 6201(d) provides that in any court proceeding, if a taxpayer asserts a reasonable dispute with respect to any item of income reported on an information return and has fully cooperated, the IRS shall have the burden of producing reasonable and probative information concerning the deficiency in addition to the information return. In this case the taxpyaers asserted reasonable disputes with respect to the amounts reported by CitiFinancial and Chase. The IRSfailed to produce reasonable and probative information independent of the third-party information returns. Thus, the Tax Court held for the taxpayers.
In this case, the Tax Court found that the IRS could not rely on the Forms 1099-C submitted by CitiFinancial and Chase as evidence of the amount of debt that was definite and liquidated. Section 6201(d) provides that in any court proceeding, if a taxpayer asserts a reasonable dispute with respect to any item of income reported on an information return and has fully cooperated, the IRS shall have the burden of producing reasonable and probative information concerning the deficiency in addition to the information return. In this case the taxpyaers asserted reasonable disputes with respect to the amounts reported by CitiFinancial and Chase. The IRSfailed to produce reasonable and probative information independent of the third-party information returns. Thus, the Tax Court held for the taxpayers.
Wednesday, October 21, 2009
Who Is Being Convicted of Tax Crimes
For those of you who may have an interest in who is being prosecuted for tax crimes here is a link from TIGTA with some interesting information.
Commissioner's Advice to Corporate Directors
IRS Commissioner Doug Shulman addressed the National Associaton of Corporate Directors Governance Conference and gave them certain advice. You can see the Commissioner's remarks here.
Monday, October 19, 2009
Annual Report to Congress on the Whistleblower Statute
The Department of the Treasury has published its annual report on the Whistleblower statute. The report can be found here.
Whistleblower Guidance from the IRS
The IRS has published guidance to provide procedures for processing and examining referrals received from the Whistleblower’s Office (WBO) regarding IRC 7623(b). Due to a change to IRC 7623, there are now two types of Whistleblower informant claim cases:
IRC 7623(a) discretionary award cases, “A” cases, and
IRC 7623(b) mandatory award cases, “B” cases.
The guidance can be found here.
IRC 7623(a) discretionary award cases, “A” cases, and
IRC 7623(b) mandatory award cases, “B” cases.
The guidance can be found here.
Monday, October 12, 2009
IRS Statistics of Income
The IRS has published it 2009 Statistics of Income (SOI) Bulletin. This publication has a wide range of tables, articles, and data that describe and measure elements of the U.S. tax system. This publication is available here.
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