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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-1 McGraw-Hill/Irwin © 2005 The McGraw-Hill Companies, Inc., All Rights Reserved. McGraw-Hill/Irwin © 2005 The McGraw-Hill Companies, Inc., All Rights Reserved. The Tax Compliance Process Chapter 17
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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-2Objectives Late-filing and late-payment penalties Statute of limitations 3 types of IRS audits Negligence or civil fraud, criminal fraud penalties Trial and appeal courts Transferee liability and innocent spouse rule
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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-3 Filing and Payment Requirements Due dates Individual: 4/15, extend to 8/15 or 10/15 Corporate: 15th day of 3rd month, extend to 15th day of 9th month Payments are due by ORIGINAL due date. Late payments to IRS incur interest. Refunds paid by IRS within 45 days of filing do not carry interest.
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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-4 Late-Filing and Late-Payment Penalties Penalty is a function of taxes OWED. If taxpayer is due a refund, there is no late filing penalty. Combined penalty = 5% of balance due per month late for 5 months, then 1/2 of 1 percent for up to an additional 45 months.
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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-5 Statute of Limitations The IRS has three years from the later of statutory due date (4/15) or date actually filed If the taxpayer omits > 25% of gross income, IRS has six (6) years. Fraudulent returns are open indefinitely.
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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-6 The Audit Process Corporate returns selected mainly by size. Individual returns are scored by IRS using discriminant function system. Returns audited more frequently: high income, high deduction personal business (Schedule C)
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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-7 Types of Audits Correspondence - routine audits conducted by mail - send in documentation, explanations, etc. Office exams take place at an IRS district office - limited scope. Field exams take place at the taxpayer’s place of business - these are broader in scope. Deficiency is the additional tax owed. If interest is charged, it is deductible if the taxpayer is a corporation, but only for individuals if the liability is related to the operation of the individual’s business.
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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-8 Noncompliance Penalties - Negligence Applies when the IRS determines that the “taxpayer did not make a good faith effort to compute the correct tax.” Penalty = 20% of any underpayment attributable to the taxpayer’s failure to make this reasonable attempt. Negligence versus mistake? complexity of issues, taxpayer’s education/experience, cooperation with IRS, advice from professionals
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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-9 Noncompliance Penalties - Civil Fraud 75% of tax underpayment due to fraud. Fraud is the “intent to cheat the government by deliberately understating tax liability.” Systematic omission of substantial amounts of income Deduction of nonexistent expenses 2 sets of books
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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-10 Noncompliance Penalties - Criminal Fraud Tax evasion = criminal fraud Up to $100,000 individual, $500,000 corporation Prison IRS must show guilt beyond a reasonable doubt
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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-11 Tax Return Preparer Penalties Failure to sign - $50 per failure Taking a position with no realistic possibility of sustaining on its merit - $250 per return. Intentional disregard of rules & regulations - $1,000 per return.
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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-12 Contesting Audit Results - Appeal See IRS Problem Resolution department - if this fails, Appeal is 1st step See Publication 5, Appeal Rights and Preparation of Protest for Unagreed Case
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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-13 Contesting Audit Results - Litigation Trial Courts U.S. Tax Court (single judge or panel of judges) - taxpayer does not have to pay deficiency first taxpayer pays deficiency and sues for refund. Advantage - interest stops accruing should taxpayer lose. U.S. District Court (jury trial) or U.S. Court of Federal Claims (single judge or panel of judges)
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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-14 Contesting Audit Results - Litigation Appeal Courts U.S. Circuit Courts of Appeal U.S. Supreme Court (hears very few tax cases)
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Click to edit Master text styles Second level Third level Fourth level Fifth level #17-15 IRS Collections IRS can seize property When corporations are dissolved, shareholders have transferee liability for back taxes up to the value of any assets received on liquidation. Spouses may not be subject for deficiencies attributable to the other spouse under the innocent spouse rule. Doesn’t apply if spouse received benefit from evaded/avoided taxes.
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