CPAs must be prepared when the IRS or California tax agencies contact one of their clients. Learn useful techniques and strategies for representing clients in all aspects of tax controversy matters.
Topics discussed include tax return examinations, tax fraud cases, defenses to civil penalties, administrative appeals, tax collection matters and tax litigation. Particular emphasis will be placed on using procedural rights to achieve better results in difficult cases.
Identify the structure and operations of IRS and California tax authorities.
Recognize basic strategies for handling audits, appeals and collection cases.
Determine how to use procedural rights to achieve better results.
Outline planning and conducting the tax examination, administrative appeal and collection process.
Examination process: organization of restructured IRS; standards for return selection; AICPA SSTS (revised); Circular 230 guidelines; amended returns; and approaches to resolving examination problems.
Civil penalties: delinquency penalties, accuracy-related penalty; fraud penalty; preparer penalty; promoter and protestor penalties; and foreign information return penalty regime.
Administrative appeals: nature and scope; bypassing appeal; drafting the protest letter; appeals conference; and settlement approaches.
Collection process: significance of assessment; nature of tax liens and levies; installment agreements; collection due process; offers in compromise and bankruptcy.
Tax fraud: civil tax fraud badges; criminal tax fraud violations; defenses; voluntary disclosures; role of Kovel accountant.
Judicial proceedings: Tax Court; federal district court; Court of Federal Claims; and California Superior Court.
CPAs, attorneys and tax preparers.
Basic knowledge of dealing with tax authorities.