subMenu
Archive by Month
IRS Launches New Effort at High Income Non-Filers: Impacted Taxpayers Should Seek Representation
By Jeffrey M. Glassman on February 29, 2024
On February 29, 2024, the IRS announced a new effort to target high-income individuals. This time the IRS announced that they have opened 125,000 cases focusing on millionaires who have failed to file income tax returns. The IRS believes that, based on third-party information received, there may be more than $100 billion of unreported financial activity and conservatively hundreds of millions of dollars of unpaid tax.
The Most Important Elements of a Successful IRS Voluntary Disclosure? Timing and Luck.
By Joel N. Crouch on February 27, 2024
As in comedy, the most important element in an IRS voluntary disclosure is generally timing. However, a couple of U.S. Tax Court memorandum opinions in Whistleblower 14376-16W v. Commissioner, T.C. Memo 2017-181 and T.C. Memo 2024-22, point out that timing and luck are the most important elements of a voluntary disclosure
Another Shot Across the ERC Bow by the IRS
By Joel N. Crouch on February 23, 2024
One of my ERC friends sent me the IRS letter below that was received by one of his ERC clients about their ERC filing. The letter, Notice CP271, says there has been aggressive advertising involving ERC and the employer should confirm they are entitled to the ERC amount they claimed.
Return Preparer Fraud Results in Harsh Outcome for Innocent Taxpayer
By Joel N. Crouch on February 21, 2024
the IRS generally has three years to assess additional tax, pursuant to IRC Section 6501. The three years can be extended by agreement, the taxpayer filing for bankruptcy, the IRS issuing a Notice of Deficiency, or taxpayer involvement in a third party summons enforcement action.
IRS Announces New Audit Initiative Focused on Private Jet Usage
By Anthony P. Daddino on February 21, 2024
According to the IRS, private jet usage by certain taxpayers just doesn't fly. Today the IRS announced plans to initiate dozens of audits on business aircraft involving personal use. The audits will focus on aircraft usage by large corporations, large partnerships and high-income taxpayers and whether use of aircrafts is being properly allocated between business and personal reasons.
Can the U.S. Tax Court Hear ERC Lawsuits?
By Jeffrey M. Glassman on February 21, 2024
As more and more taxpayers consider filing lawsuits to receive an ERC refund, it is important to understand where the lawsuits can be filed. Before a taxpayer is legally allowed to file a refund lawsuit in court, taxpayers must first file a claim for refund with the IRS.
No Chocolate/Flowers: IRS Dishes Out the Threat of ERC Penalties as its Valentines Gift to Taxpayers
By Anthony P. Daddino on February 16, 2024
The IRS was not feeling the love this past Valentine's Day, releasing a new FAQ to its Employee Retention Credit Voluntary Disclosure Program that identifies the multitude of criminal and civil penalties that could apply to non-compliant taxpayers that choose not to participate in the program.
IRS Taps into its Inner ‘Letterman' in releasing Top 7 Signs of Improper ERC
By Anthony P. Daddino on February 14, 2024
For those of you who missed it, the IRS launched a voluntary disclosure program for taxpayers that may have improperly claimed employee retentions credits (ERCs). With the March 22nd program deadline looming, the IRS announced yesterday its "Top 7" list highlighting warning signs that an ERC claim may be questionable.
ERC Refund Litigation: The Role of Local Counsel
By Jeffrey M. Glassman on February 12, 2024
Given that the IRS Employee Retention Credit ("ERC" or "ERTC") moratorium is still in effect, and ERC claims not subject to the moratorium are being processed slowly, there are possibly many ERC refund lawsuits that may be filed soon. The rules of civil procedure generally provide that cases against the U.S. government can be filed only in the judicial district where the plaintiff resides or where a corporation has its principal place of business. So needless to say, if there are in fact many ERC lawsuits filed, they will likely be filed in many different courts.
The IRS ERC Webinar Has Come and Gone. What Did the IRS Say?
By Jeffrey M. Glassman on February 9, 2024
On February 8, 2024, the IRS held a public webinar primarily about the Employee Retention Credit ("ERC" or "ERTC") Voluntary Disclosure Program.
ERTC Clarity Coming This Week? IRS Webinar May Shed Light On IRS Plans
By on February 5, 2024
There are still many questions about how the IRS is handling ERTC (also known as "ERC") claims after its moratorium deadline of December 31, 2023 expired. This Thursday, February 8 at 1pm Central Time (2pm Eastern Time), the IRS is hosting a free webinar to provide updates on the ERTC Voluntary Disclosure Program and the moratorium. Tax professionals can earn one continuing education (CE) credit for participation.