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1 Chapter 15: Administrative Procedures. 2 ADMINISTRATIVE PROCEDURES (1 of 2)  Role of the IRS  Audits of tax returns  Requests for rulings  Due dates.

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Presentation on theme: "1 Chapter 15: Administrative Procedures. 2 ADMINISTRATIVE PROCEDURES (1 of 2)  Role of the IRS  Audits of tax returns  Requests for rulings  Due dates."— Presentation transcript:

1 1 Chapter 15: Administrative Procedures

2 2 ADMINISTRATIVE PROCEDURES (1 of 2)  Role of the IRS  Audits of tax returns  Requests for rulings  Due dates  Failure-to-file/pay-penalties  Estimated taxes

3 3 ADMINISTRATIVE PROCEDURES (2 of 2)  Severe penalties  Statute of limitations  Liability for tax  Tax practice issues

4 4 Role of the IRS (1 of 2)  Enforcement of tax laws  Collection of taxes due  Interpretation of Internal Revenue Code

5 5 Role of the IRS Organization of the IRS (2 of 2) Commissioner/ Deputy Commissioner Shared Services Agency Wide Shared Services 4,900 employees Agency Wide Info Systems Services 7,000 employees Functional Units Appeals 1,900 employees Taxpayer Advocate Service 1,600 employees Criminal Investigation 4,500 employees Operating Divisions Wage & Investment Income 21,000 employees Small Business & SE 39,000 employees Large & Mid-size Business 9,500 employees Tax Exempt & Gov’t Entities 2,800 employees Chief Council 2,600 employees National Office Staff 1,000 employees

6 6 Audits of Tax Returns (1 of 3) Type of Return Audited20022000 Individual returns0.57%0.58% C corporations0.97%0.95% Partnerships0.26%0.25% S corporations0.39%0.43% Fiduciary0.18%0.29% Individuals > $100K inc1.45%0.69% Corps w/ assets>$250M34.4%32.1%

7 7 Audits of Tax Returns (2 of 3)  Returns selected for audit by discriminant function & other means  39% of returns selected by using DIF  NRP exams less intrusive than TCMP

8 8 Audits of Tax Returns (3 of 3)  Types of audits  Correspondence audit  Office audit  Field audit  Appeals process  Burden of proof

9 9 Appeals Process (1 of 3)  Taxpayer first meet w/ revenue agent  If taxpayer disagrees w/ findings, IRS sends thirty-day letter  Taxpayer has 30 days to request a conference w/ appeals officer  Taxpayer meets with appeals officer

10 10 Appeals Process (2 of 3)  If no agreement with appeals officer reached, IRS issues ninety-day letter  Taxpayer has 90 days to file petition w/ Tax Court or pay the tax  Taxpayer must pay tax first to litigate in either District Court or U.S. Court of Federal Claims

11 11 Appeals Process (3 of 3)  Either party may appeal court decision to Circuit Court  Usually final appeal as Supreme Court rarely hears tax cases

12 12 Burden of Proof (1 of 2)  In civil court cases burden of proof on factual matters shifts to IRS if taxpayer does all of the following:  Introduces “credible evidence”  Complies w/ recordkeeping & substantiation requirements of IRC

13 13 Burden of Proof (2 of 2)  Burden of proof (continued)  Cooperates w/ reasonable requests  Qualifies as a natural person or legal person w/ net worth  $7 million

14 14 Requests for Rulings  Allows taxpayer to learn how IRS will treat a particular transaction before the transaction is completed  Request made in writing  IRS has option whether or not to respond

15 15 Due Dates  Returns for individuals, fiduciaries and partnerships are due on or before fifteenth day of fourth month following year-end of entity  Extensions for filing deadline available, but tax must be paid by original due date to avoid penalties  Interest due on tax not timely paid

16 16Failure-to-File/Pay-Penalties  Failure to file penalty  5% per month or fraction thereof of net tax due w/ a 25% maximum  Fraudulent failure to file is 15% per month or fraction thereof w/ maximum of 75%  Failure to pay incurs a penalty of 0.5% per month up to 25%  See Topic Review C15-1

17 17 Estimated Taxes (1 of 2)  Taxpayers receiving income other than salaries & wages should pay quarterly estimated tax installments  Payments should equal lesser of 90% of tax due or 100% (110% if AGI > $150K) of last year’s tax

18 18 Estimated Taxes (2 of 2)  Penalty for underpayment of ES taxes based on interest on underpayment times amount of time outstanding

19 19 Severe Penalties (1 of 3)  Penalty for underpayment due to negligence or disregard of rules or regulations is 20% of underpayment  Penalty for substantial understatement exceeding greater of 10% of tax liability or $5,000 ($10,000 for a C corp) is 20% of underpayment

20 20 Severe Penalties (2 of 3)  Civil fraud  IRS has burden of proof  Systematic omission from gross income or fictitious deductions or dependency claims...  Civil fraud penalty is 75% of portion of underpayment attributable to fraud

21 21 Severe Penalties (3 of 3)  Criminal fraud  IRS has burden of proof  Prosecution may result from willful attempts to evade any tax, willful failure to file or willfully making returns taxpayer does not believe to be true and correct...  Maximum penalty is a fine of $25,000 ($100K for corp), five years in jail or both.

22 22 Statute of Limitations (1 of 2)  Normal time limit is three years from later of due date or date filed  For substantial omissions, time limit is six years  No statute of limitations for fraud  No statute of limitations if a tax return is not filed

23 23 Statute of Limitations (2 of 2)  Refund claims  Taxpayer not entitled to refund for overpayments unless claim for refund filed by later of  Three years from date original return is filed, OR  Two years from date they pay tax

24 24 Liability for Tax (1 of 2)  If spouses file a joint return, liability for taxes is joint and several  Government can collect from either spouse regardless of who has income  Tax may be collected from transferees and fiduciaries

25 25 Liability for Tax (2 of 2)  Innocent spouse relief available if all met:  Innocent spouse (IS) files a joint return  Understatement due to other spouse’s erroneous item(s) of filing return  IS did not know or had no reason to know of understatement  Inequitable to hold IS liable  IS elects relief w/in two years after IRS begins collection efforts

26 26 Tax Practice Issues (1 of 2)  Tax preparer penalties  IRS may impose various penalties on tax return preparers for misconduct  Treasury Department Circular 230  Regulates the practice of attorneys, CPAs, enrolled agents, and enrolled actuaries before the IRS

27 27 Tax Practice Issues (2 of 2)  Tax accounting and law  Accountants must be careful to avoid the unauthorized practice of law  Accountant-client privilege  Similar to attorney-client privilege, but it only applies in very limited circumstances

28 28 Comments or questions about PowerPoint Slides? Contact Dr. Richard Newmark at University of Northern Colorado’s Kenneth W. Monfort College of Business richard.newmark@PhDuh.com


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