Accounting Entries for the Purchase of a Vehicle

Keeping accurate books can be a challenge for small businesses. Small businesses are usually able to track their income in an accounting system. Some manage to track expenses. But few actually take the time to track their assets. This results in inaccu…

IRS Can Raise New Issues on the Eve of Trial

Irs Can Raise New Issues On The Eve Of Trial

The ability to have ones day in court is fundamental to our system of justice. For claims involving the government, as with taxes and the IRS, this includes the right to know the government’s position with sufficient advance notice so that the taxpayer can prepare their case. This begs the question, can the IRS raise… Continue reading IRS Can Raise New Issues on the Eve of Trial

Payment from Accounting Firm to Settle Claim Excluded From Income

Irs Can Raise New Issues On The Eve Of Trial

The IRS released Action on Decision 2016-01 to disagree with a court case that held that a payment from an accounting firm to settle a claim against the firm for selling an abusive tax shelter was not taxable to the recipient. Facts & Procedural History The case is Cosentino v. Commissioner, T.C. Memo. 2014-186. In… Continue reading Payment from Accounting Firm to Settle Claim Excluded From Income

IRS Limits Ability to Submit Informal Refund Claims During Audits

Irs Limits Ability To Submit Informal Refund Claims During Audits

The IRS released Publication 5125, Large Business & International Examination Process, which describes the IRS audit process and the new change for taxpayers submitting informal refund claims during the audit. The Publication continues the IRS’s prior policy of cooperation, responsiveness, and transparency in conducting audits. The Publication re-iterates the IRS’s expectations for its examiners and… Continue reading IRS Limits Ability to Submit Informal Refund Claims During Audits

Limits on IRS’s Ability to Ask for Records Multiple Times

Limits On Irs’s Ability To Ask For Records Multiple Times

If the IRS conducts an audit for one year and reviews records, but fails to keep the records and then conducts an audit for a second year, is the taxpayer obligated to provide a second copy of the records the IRS failed to keep from the first year?  The court addressed this in United States v.… Continue reading Limits on IRS’s Ability to Ask for Records Multiple Times

TV Commercial Set Designer Was an Independent Contractor

Tv Commercial Set Designer Was An Independent Contractor

In Quintanilla v. Commissioner, T.C. Memo. 2016-5, the U.S. Tax Court concluded that a set designer for TV commercials was an independent contractor and not an employee for tax purposes.  This case provides a good example of factors that show that a worker is in fact an independent contractor. Facts & Procedural History Mr. Quintanilla… Continue reading TV Commercial Set Designer Was an Independent Contractor

R&D Credit Made Permanent & Enhanced

R&d Credit Made Permanent & Enhanced

Congress made the research tax credit permanent and enhanced the credit. The changes are retroactive back to January 1, 2015. Temporary Nature of the R&D Credit The permanent research tax credit solves one of the ongoing problems with the credit. As critics of the credit have noted, the credit cannot provide much of an incentive… Continue reading R&D Credit Made Permanent & Enhanced

Who Can Sign a Form 2848 Power of Attorney for an LLC

Who Can Sign A Form 2848 Power Of Attorney For An Llc

We are often asked who can sign a POA or Form 2848, Power of Attorney and Declaration of Representative, for a limited liability company or LLC? The IRS addressed this in AM 2015-004. About Form 2848 – Power of Attorney The Form 2848 allows the IRS to disclose taxpayer information to persons who represent the… Continue reading Who Can Sign a Form 2848 Power of Attorney for an LLC

You Cannot Dodge Notice for the Trust Fund Recovery Penalty

Who Can Sign A Form 2848 Power Of Attorney For An Llc

It is almost always advisable to keep on the lookout for and open correspondence from the IRS. The Haben v. Commissioner, T.C. Summary Opinion 2015-55, case provides an example. In Haben, the U.S. Tax Court concluded that a taxpayer could not contest a trust fund recovery penalty during a collection due process hearing because he… Continue reading You Cannot Dodge Notice for the Trust Fund Recovery Penalty

IRS Collections When Taxpayer’s Income Varies

Irs Collections When Taxpayer’s Income Varies

In Charnas v. Commissioner, T.C. Memo. 2015-153, the U.S. Tax Court addressed whether a lawyer who had variable income from year to year was able to pay his outstanding tax debt. The court concluded that the IRS erred in not considering the variable nature of the taxpayer’s income in determining whether he could pay his… Continue reading IRS Collections When Taxpayer’s Income Varies