Title: The Tax Practice Environment
1The Tax PracticeEnvironment
2Tax Practice
- Tax compliance
- Preparing returns
- Representing clients at IRS audit
- Tax planning
- Evaluating the tax consequences associated with a
transaction and making recommendations that will
achieve the desired objective at a minimal tax
cost
3Taxes and Cash Flow
- Tax cost is the increase in tax for the period
and is a cash outflow - Tax savings is a decrease in tax for a period and
is a cash inflow - Expense payment generates an outflow, but
deduction generates a tax reduction - Reducing income taxes paid is a pure cash inflow
because tax savings are not taxable
4Taxes and Cash Flows
- Cash flows in future years are discounted to
their present value so they can be compared using
comparable dollars - When marginal tax rates are expected to change
from year to year, timing of transactions should
be controlled to minimize tax costs and maximize
tax savings
5Tax Planning Strategies
- Timing income and deductions
- General rule - defer recognition of income and
accelerate recognition of deductions - Recognize income in year with lowest marginal tax
rate - Deduct expenses in year with highest marginal tax
rate
6Tax Planning Strategies
- Shifting income
- Lower the total tax paid by splitting income
among two or more taxpayers in the same family or
between different entities owned by the same
individual - Changing the character of income
- Structure transaction to qualify for favorable
long-term capital gains rate
7Tax Planning Strategies
- Other factors affecting tax planning
- Discount rate
- Inflation
- Uncertainty
- Nontax (personal) objectives
- Cost of implementation
8Judicial Doctrines
- Business purpose doctrine
- A transaction must have a business or economic
purpose other than tax avoidance - Substance-over-form doctrine
- Taxability of a transaction is determined by the
reality of the transaction, rather than its
appearance - Step transaction doctrine
- IRS can collapse a series of intermediate
transactions into a single transaction to
determine the tax consequences
9Primary Sources of Authority
Statutory
Administrative
Judicial
10Statutory Sources of Authority
- U.S. Constitution
- Internal Revenue Code
- Tax treaties
- Committee reports that indicate the legislative
intent of a bill - House Ways Means Committee
- Senate Finance Committee
- Joint Conference Committee
11Tax Legislative Process
- Tax bill introduced in the house
- Referred to the House Ways and Means Committee
- Submitted to the full House to be debated under
closed rule - If passed, bill is sent to the Senate
- Referred to the Senate Finance Committee
12Tax Legislative Process
- Submitted to the Senate to be debated under open
rule - If House and Senate versions differ, referred to
a Joint Conference Committee where a compromise
version of the bill - If compromise bill passed by both houses of
Congress, the bill is submitted to the President
for his signature
13Internal Revenue Code
- A tax bill passed by Congress is usually enacted
as a revenue act that amends the existing
Internal Revenue Code - Code divided into subtitles, chapters,
subchapters, and sections - Citations to the Code usually are to sections
(Sec. or )
14Administrative Sourcesof Authority
Treasury Regulations
Revenue Rulings
Internal Revenue Service
Revenue Procedures
Letter Rulings other pronouncements
15Judicial Sources
U. S. Court of Appeals for Federal Circuit
U. S. Court of Federal Claims
U. S. District Court
The Supreme Court
U. S. Court of Appeals
U. S. Tax Court
16Tax Research
- Purpose of research is to find solutions to tax
problems - Steps in research process
- Gather the relevant facts and identify the issues
- Locate and evaluate the relevant authority
- Communicate the recommendations
17Identify the Issues
- Identifying the issues is the most difficult step
for many new researchers - Experienced professionals can state the relevant
questions in terms of specific statutory
authority and their questions frequently suggest
the location of answers
18Locate Evaluate Authorities
- Tax services (reference services) can be used to
locate the authorities - Internal Revenue Code read every Code section
that is applicable and watch for language that
indicates quantities or a time period - Committee Reports it is usually best to start
with the Joint Conference Committee report as
that will indicate whether the House or Senate
version was enacted - Regulations check the publication date to see
if updated for latest amendments to the Code
19Locate Evaluate Authorities
- Revenue rulings reflect current IRS policy and
carry considerable weight - Letter rulings binding only for taxpayers to
whom they were issued - Court Cases
- Tax Court
- Federal District Courts
- U. S. Court of Federal Claims
- Appellate Courts
20Evaluating Judicial Authorities
- When a case involves a number of issues, the
court will decide each issue separately - The party who raises an issue generally has the
burden of proof (usually the taxpayer except for
fraud) - The opinion is the courts statement of the
reasons for its decision
21 Evaluating Judicial Authorities
- Acquiescence IRS acquiesces when it agrees with
a court decision it has lost and it issues a
nonacquiescence when it disagrees with a decision - A reversal by an appellate court means that the
party who won in the lower court now loses and
the other party becomes the winner on that issue
22Evaluating Judicial Authorities
- Under the Golsen rule, the Tax Court must follow
the decision of the Court of Appeals that has
direct jurisdiction over the taxpayer - Citations for decisions should be checked in a
citator to find out - The decisions history
- What other courts have said about that case
23Completing Your Research
- When to stop searching
- What is level of authority located?
- Is position supported in IRS rulings?
- Do different authorities cite the same authority?
24Communicating Recommendations
- Memo to the file
- Facts
- Issues
- Conclusions
- Discussion of reasoning and authorities
- Client letter
25Filing Deadlines for Tax Returns
- Returns for individuals, partnerships, estates,
and trusts due 15th day of 4th month (April 15) - Corporate returns due 15th day of 3rd month
(March 15) - Extensions of time to file
- Individuals 4 months 2 extra months
- Corporations 6 months
26Filing Penalties
- Failure-to-pay penalty
- ½ percent for each month (or part of month)
payment is late (maximum 25) - Failure-to-file penalty
- 5 percent per month (or partial month) return is
late (maximum 25) - If both apply, rate is combined 5 percent for
first 5 months and ½ percent thereafter (47½
percent maximum)
27Filing Penalties
- No failure-to-file penalty if no tax is owed
- Minimum 100 failure-to-file penalty if return
more than 60 days late - Fraudulent failure-to-file can increase late
- filing penalty to 15 a month (75 maximum)
- Installment agreement possible if unable to pay
tax when due (late payment penalties apply)
28Statute of Limitations
- Period of time beyond which legal actions or
changes to the tax return cannot be made by
taxpayer or IRS - 3 years from date of filing or due date of return
(whichever is later) - 6 years if more than 25 of gross income
inadvertently omitted - No time limit for fraudulent returns
29Statute of Limitations
- Refund claims must be initiated by taxpayer
within later of - 3 years of filing date for return
- 2 years from date tax is paid
30Selecting Returns for Audit
- Information document matching program
- Mathematical/clerical error program
- Unallowable items program
- Discriminant function (DIF) formula
- Information provided by informant
- Up to 10 reward
- Undercover operations
31Audits and Appeals
- Types of Audits
- Correspondence audit
- Office audit
- Field audit
- 30-day letter
- 30 days to request conference with Appeals
Division - Appeals officer can consider hazards of litigation
32Audits and Appeals
- 90-day letter (statutory notice of deficiency)
- File petition with Tax Court within 90 days
- Pay the tax can then go to court to sue for
refund - Take no action and be subject to IRS enforced
collection procedures
33Going to Court
- Trial Courts
- Tax Court is the only court that does not require
the taxpayer to first pay the tax and then sue
for refund - Small Case Division of the Tax Court can hear
disputes not exceeding 50,000 (but no appeal) - District Court and Court of Federal Claims cannot
hear the case unless a suit for refund - Appellate Courts - Circuit Court of Appeals and
Court of Federal Claims - Supreme Court chooses the cases it will hear
and accepts very few tax cases
34Taxpayer Penalties
- Noncompliance penalties
- 20 of tax underpayment for negligence
- 75 of tax underpayment for civil fraud
- Fines and prison for tax evasion (criminal fraud)
- Burden of proof is on IRS to establish beyond a
reasonable doubt that the taxpayer committed fraud
35Collection Procedures
- IRS sends bill to taxpayer
- If no response, letter demanding payment in 10
days - IRS can impose lien on taxpayers property and
seize assets - Offer in compromise
- Innocent spouse relief
36Professional Responsibilities
- Avoidance versus evasion
- Preparer penalties
- Penalties may not be covered by malpractice
insurance - Penalties are not deductible
- Penalties may result in an IRS review of the
preparers entire practice - Criminal tax evasion penalties include fines and
prison
37Professional Responsibilities
- Tax professionals have responsibilities to both
tax system and to clients - Sources of Guidance
- Circular 230
- AICPA Code of Professional Conduct
- Statements on Standards for Tax Services
38The End