US Taxpayer Bill of Rights. Presentation of Nina E. Olson National Taxpayer Advocate 08 May 2017

Similar documents
IRM TAS Taxpayer Assistance Order (TAO) Process Reason for Change Key:

1500 Pennsylvania Avenue, NW 1111 Constitution Avenue, NW Washington, DC Washington, DC 20224

Don t Forget Tax Day: Taxpayers Bill of Rights and the Importance of Paying Taxes March 26, 2015; 6:00 PM 7:30 PM

Busy Season. all year long. TRI Tax Resolution Institute. where your tax debt is your power!

Taxpayer Bill of Rights

Appeals NOTICE. ALI CLE - Handling a Tax Controversy: Audit, Appeals, Litigation and Collections October 8-9, 2015

Taxpayer Service Commitments and Standards Code

LIST OF SUBSTANTIVE CHANGES AND ADDITIONS. PPC s Guide to Dealing with the IRS. Twenty-third Edition (June 2015)

Busy Season. all year long. TRI Tax Resolution Institute. where your tax debt is your power!

14 Tips To Help Deal With (Or Avoid) The IRS In 2014

IRS COLLECTION PROCEDURES AND TAXPAYER REMEDIES

LIST OF SUBSTANTIVE CHANGES AND ADDITIONS Route To: Partners PPC's Guide to Dealing with the IRS Managers. Twenty second Edition (June 2014)

National Taxpayer Advocate Delivers Annual Report to Congress; Discusses Tax Reform Implementation and Unveils Purple Book

WRITTEN STATEMENT OF CHASTITY K. WILSON ON BEHALF OF THE THE AMERICAN INSTITUTE OF CERTIFIED PUBLIC ACCOUNTANTS BEFORE

STATUTE OF LIMITATIONS Analyze This. By LG Brooks Enrolled Agent

A Guide to Tax Resolution: Solving IRS Problems

LITIGATION OF INDIVIDUAL INCOME TAX ISSUES AND TBOR

HOW THE 1998 TAX ACT AFFECTS YOUR DEALINGS WITH THE IRS APPEALS OFFICE. The IRS Restructuring and Reform Act of 1998.

Introduction to Collections: 9/6/2012. The Basics of the IRS Collections Process

Interpreters Associates Inc. Division of Intérpretes Brasil

The Audit is Over Now What?

Intro to Collections

PRESENT LAW AND BACKGROUND RELATING TO WORKER CLASSIFICATION FOR FEDERAL TAX PURPOSES

AMERICAN INTERNATIONAL GROUP, INC. AUDIT COMMITTEE CHARTER (Effective May 16, 2012)

UNITED STATES TAX COURT WASHINGTON, D.C December 28, 2011 PRESS RELEASE

AUDIT COMMITTEE CHARTER

The IRS Collection Process

T.D DEPARTMENT OF THE TREASURY Internal Revenue Service

Rights of the Taxpayer

UNION PACIFIC CORPORATION AUDIT COMMITTEE OF THE BOARD OF DIRECTORS CHARTER

Inquiry into the Powers and Operations of the Inland Revenue Department

Memorandum. Office of Chief Counsel Internal Revenue Service. Number: Release Date: 7/7/2006 CC:PA:APJP:B2:AMIELKE POSTN

Working with the IRS Office of Appeals What to Expect in Examination Appeals

Effectively Representing the Taxpayer in a Substantiation and Penalty Case. US Tax Court Judicial Conference Tuesday March 27, 2018

Audit Committee Charter

Procedures for Protest to New York State and City Tribunals

NC General Statutes - Chapter 122C Article 1A 1

Compliance Assurance Process (CAP) Internal Revenue Manual (IRM) Sections

HARSCO CORPORATION (the Corporation ) AUDIT COMMITTEE OF THE BOARD OF DIRECTORS CHARTER. (As Amended and Restated September 20, 2011)

AUDIT, FINANCE & RISK COMMITTEE MANDATE

Overview of Tax Controversy and Procedure

LAUREN ROSS Attorney at Law 2550 N. Hollywood Way Suite 404 Burbank, CA Tel.(818) Facsimile (818)

AUDIT COMMITTEE CHARTER

Consumer Information for Resolving Disputed Claims on Interstate Household Goods Shipments. Sponsored by the Professional Members of the:

PDC ENERGY, INC. AUDIT COMMITTEE CHARTER. Amended and Restated September 18, 2015

The new rules are generally effective for partnership audits of tax years beginning after December 31, 2017.

SHAW COMMUNICATIONS INC. AUDIT COMMITTEE CHARTER

IRS Appeals New Faces, New Challenges

1. Purpose. 2. Membership and Organizations. Canadian Imperial Bank of Commerce Audit Committee Mandate

CHARTER OF THE AUDIT COMMITTEE OF THE BOARD OF DIRECTORS OF NGL ENERGY HOLDINGS LLC. Adopted as of May 10, 2011 Revisions through August 1, 2017

LIST OF SUBSTANTIVE CHANGES AND ADDITIONS. PPC s Guide to Dealing with the IRS. Twenty-fourth Edition (June 2016)

Regulations under IRC Section 7430 Relating to Awards of Administrative Costs and Attorneys Fees

FEDERAL HOUSING FINANCE AGENCY OFFICE OF INSPECTOR GENERAL

INTERNAL MANUAL -- PASSPORT CERTIFICATION PROCEDURES

2018 Loscalzo Institute, a Kaplan Company

FSC Standard No 1: Code of Ethics & Code of Conduct

Significant Actions Were Taken to Address Small Corporations Erroneously Paying the Alternative Minimum Tax, but Additional Actions Are Still Needed

Service Level Agreement Administration of Revenue Recapture

ON JUNE 10, 2014, THE TEXAS WORKFORCE COMMISSION ADOPTED THE BELOW RULES WITH PREAMBLE TO BE SUBMITTED TO THE TEXAS REGISTER.

Court Special Services

SOUTH COUNTY HEALTH PATIENT ACCESS POLICIES AND PROCEDURES-

responsible lending and credit cards

[ p] Amendments to the Regulations Regarding Questions and Answers Relating to Church Tax Inquiries and Examinations

Low Income Taxpayer Clinic Grant Program; Availability of 2019 Grant. SUMMARY: This document contains a notice that the IRS has made available

County of Sonoma Agenda Item Summary Report

The Revenue can effectively audit any claim made within the last 5 accounting years this is the statute of limitation.

Sempra Energy. Audit Committee Charter

DEBTORS REPLY IN SUPPORT OF MOTION TO ESTIMATE THE HUGHES HEIRS OBLIGATIONS. South Street Seaport Limited Partnership, its ultimate parent, General

RIGHTS AND RESPONSIBILITIES AGREEMENT BETWEEN CHAPTER 13 DEBTORS AND THEIR ATTORNEYS (Model Retention Agreement)

USER AGREEMENT FOR RODEOPAY PAYORS

Comptroller Tax Process Improvements

You must file your 2012 tax return

Varo Personal Loan Note (FIXED RATE WITH ARBITRATION CLAUSE)

SHENANDOAH LIFE INSURANCE COMPANY QUESTIONS AND ANSWERS WHAT IS SHENANDOAH LIFE S STATUS?

HIPAA BUSINESS ASSOCIATE AGREEMENT

The Terms of reference of the Staff Pension Committees (SPCs) and their Secretaries 1. I. Introduction

12 C.F.R. 917 FHFB REGULATIONS REGARDING THE POWERS AND RESPONSIBILITIES OF BANK BOARDS OF DIRECTORS AND SENIOR MANAGEMENT

Part 4. Examining Process. Chapter 46. LB&I Examination Process. Section 5. Resolving the Examination Resolving the Examination

CLAIMS AGAINST INDUSTRIAL HYGIENISTS: THE TRILOGY OF PREVENTION, HANDLING AND RESOLUTION PART TWO: WHAT TO DO WHEN A CLAIM HAPPENS

Cardmember Agreement Please keep this booklet for future reference It contains important cardmember information. Valued Cardmember,

MULTILATERAL STRATEGIC PLAN ON MUTUAL AGREEMENT PROCEDURES: A VISION FOR CONTINUOUS MAP IMPROVEMENT. Preamble

Communications Policy and Communications Plan Introduction RECEIVE AND FILE

9/12/ Developing Tax Issues and ACA Implementation for Non Profit Organizations

Compliance Assurance Process (CAP) - Frequently Asked Questions (FAQs)

Budget Analyst GS Career Path Guide

IRS Abuse of Discretion

GENESIS ENERGY, LLC BOARD OF DIRECTORS AUDIT COMMITTEE CHARTER

ACCOUNTAX SCHOOL OF BUSINESS, INCORPORATED A Profile in Continuing Professional Education. Representing Clients During the Collections Process

At the end of 2015, Congress added a provision to

What s News in Tax Analysis That Matters from Washington National Tax

Offer-in-Compromise Why or Why Not

Principles for Ensuring Fair and Appropriate Practices for Individual Market Policy Rescissions and Pre-existing Conditions Clauses

Do a Paycheck Checkup

Text of Model Financial Guarantee Act

( ). See MyBestBuy.com for current rules.

Code of governance for resolving tax disputes

State Consultation on the Development of a Federal Exchange

Taxpayers charter What you need to know

CITY OF CHICAGO. Department of Finance. Managed Audits

STATE OF ARKANSAS DEPARTMENT OF FINANCE & ADMINISTRATION OFFICE OF HEARINGS & APPEALS ADMINISTRATIVE DECISION

Transcription:

US Taxpayer Bill of Rights Presentation of Nina E. Olson National Taxpayer Advocate 08 May 2017

Internal Revenue Code 7803(a) In discharging his duties, the Commissioner shall ensure that employees of the IRS are familiar with and act in accord with taxpayer rights as afforded by other provisions of this title, including (A) the right to be informed, (B) the right to quality service, (C) the right pay no more than the correct amount of tax,

IRC 7803(a)(3) cont d (D) the right to challenge the position of the Internal Revenue Service and be heard, (E) the right to appeal a decision of the Internal Revenue Service in an independent forum, (F) the right to finality, (G) the right to privacy, (H) the right to confidentiality, (I) the right to a fair and just tax system,

IRC 7803(a)(3) cont d (J) the right to a fair and just tax system. See taxpayeradvocate.irs.gov/taxpayer-rights

The right to be informed Taxpayers have the right to know what they need to do to comply with the tax laws. They are entitled to clear explanations of the laws and IRS procedures in all tax forms, instructions, publications, notices, and correspondence. They have the right to be informed of IRS decisions about their tax accounts and to receive clear explanations of the outcomes.

The Right to Quality Service Taxpayers have the right to receive prompt, courteous, and professional assistance in their dealings with the IRS, to be spoken to in a way they can easily understand, to receive clear and easily understandable communications from the IRS, and to speak to a supervisor about inadequate service.

The Right to Pay No More than the Correct Amount of Tax Taxpayers have the right to pay only the amount of tax legally due, including interest and penalties, and the have the IRS apply all tax payments properly.

The Right to Challenge the IRS s Position and Be Heard Taxpayers have the right to raise objections and provide additional documentation in response to formal IRS actions or proposed actions, to expect that the IRS will consider their timely objections and documentation promptly and fairly, and to receive a response if the IRS does not agree with their position.

The Right to Appeal an IRS Decision in an Independent Forum Taxpayers are entitled to a fair and impartial administrative appeal of most IRS decisions, including many penalties, and have the right to receive a written response regarding the Office of Appeals decision. Taxpayers generally have the right to take their cases to court.

The Right to Finality Taxpayers have the right to know the maximum amount of time they have to challenge the IRS s position as well as the maximum amount of time the IRS has to audit a particular tax year or collect a tax debt. Taxpayers have the right to know when the IRS has finished an audit.

The Right to Privacy Taxpayers have the right to expect that any IRS inquiry, examination, or enforcement action will comply with the law and be no more intrusive than necessary, and will respect all due process rights, including search and seizure protections and will provide, where applicable, a collection due process hearing.

The Right to Confidentiality Taxpayers have the right to expect that any information they provide to the IRS will not be disclosed unless authorized by the taxpayer or by law. Taxpayers have the right to expect appropriate action will be taken against employees, return preparers, and others who wrongfully use or disclose taxpayer return information.

The Right to Retain Representation Taxpayers have the right to retain an authorized representative of their choice to represent them in their dealings with the IRS. Taxpayers have the right to seek assistance from a Low Income Taxpayer Clinic if they cannot afford representation.

The Right to a Fair and Just Tax System Taxpayers have the right to expect the tax system to consider facts and circumstances that might affect their underlying liabilities, ability to pay, or ability to provide information timely. Taxpayers have the right to receive assistance from the Taxpayer Advocate Service if they are experiencing financial difficulty or if the IRS has not resolved their tax issues properly and timely through its normal channels.

Office of the Taxpayer Advocate Internal Revenue Code 7803(c) describes the mission and duties of the office: Assist taxpayers in resolving problems with the Internal Revenue Service (IRS); Identify areas in which taxpayers have problems in dealings with the IRS; To the extent possible, propose changes in the administrative practices of the IRS to mitigate problems identified; and Identify potential legislative changes which may be appropriate to mitigate such problems.

How Does TAS Accomplish its Mission? Case Advocacy: 76 Local Taxpayer Advocate offices advocate with respect to specific taxpayer cases; by statute, at least one must be located in each state; includes Technical Advisors as subject matter experts. Systemic Advocacy: Analysts identify, analyze, and advocate with respect to systemic taxpayer problems; participate in IRS teams; review IRS guidance to employees.

Key Attributes of an Effective Taxpayer Advocate/Ombuds Independence Transparency Question: How to achieve this while maintaining open communication with the tax agency? Question: How to gain and keep taxpayer trust if advocate/ombuds is within the tax agency?

Independence Appointment Authority of National Taxpayer Advocate -- IRC 7803(c)(1)(B)(ii) Career Path Limitations -- IRC 7803(c)(1)(B)(iv) Mandatory Statement of Independence -- IRC 7803(c)(4)(A)(iii) Confidentiality -- IRC 7803(c)(4)(A)(iv) Communications -- IRC 7803(c)(4)(B) Taxpayer Assistance Order (TAO) -- IRC 7811 Taxpayer Advocate Directive (TAD) -- Del. Order

Mandatory Statement of Independence Each local taxpayer advocate shall, at the initial meeting with any taxpayer seeking the assistance of a local office of the taxpayer advocate, notify such taxpayer that the taxpayer advocate offices operate independently of any other IRS office and report directly to Congress through the National Taxpayer Advocate. IRC 7803(c)(4)(A)(iii).

Confidentiality Each local taxpayer advocate may, at the taxpayer advocate s discretion, not disclose to the IRS contact with, or information provided by, such taxpayer. IRC 7803(c)(4)(A)(iv).

Communications Each local office of the taxpayer advocate shall maintain a separate phone, facsimile, and other electronic communication access, and a separate post office address. IRC 7803(c)(4)(B).

Taxpayer Assistance Order (TAO) Issued by the National Taxpayer Advocate (and her delegates) where the taxpayer is suffering or about to suffer a significant hardship as a result of the manner in which the internal revenue laws are being administered by the Secretary. IRC 7811(a)(1). Significant Hardship = economic burden; systemic burden; impairment of taxpayer rights. IRC 7811(a)(2).

Taxpayer Assistance Order May require the Secretary of the Treasury within a specified time period to: (1) to release property of the taxpayer levied upon, or (2) to cease any action, take any action as permitted by law, or refrain from taking any action, with respect to the taxpayer [with respect to collection, bankruptcy and receiverships, discovery of liability and enforcement of title,] or any other provision of law which is specifically described by the National Taxpayer Advocate in such order. IRC 7811(b)(1) and (2).

Taxpayer Assistance Order (cont d) Any TAO issued by the NTA may be modified or rescinded (1) only by the NTA, the Commissioner of Internal Revenue, or the Deputy Commissioner of Internal Revenue, and (2) only if a written explanation of the reasons for the modification or rescission is provided to the NTA. IRC 7811(c).

Taxpayer Assistance Order (cont d) BUT, in her Annual Report to Congress, the NTA must: Identify any Taxpayer Assistance Order which was not honored by the Internal Revenue Service in a timely manner.... IRC 7803(c)(2)(B)(ii)(VII).

Taxpayer Advocate Directive (TAD) Similar to Taxpayer Assistance Order, but applies to group of taxpayers, or all taxpayers. Delegated to the NTA by the Commissioner. Appealable to the Deputy Commissioner. NTA Recommendation to codify TAD authority.

Transparency Annual Reports to Congress: (1) Objectives Report to Congress: delivered by June 30 of each year, NTA reports on objectives of her office for the upcoming fiscal year, including full and substantive analysis, in addition to statistical information. (2) Annual Report to Congress: delivered by December 31 of each year, NTA reports on the activities of her office during the past fiscal year.

Transparency Interaction with Independence: Each report... Shall be provided directly to the [Committee on Ways and Means of the House of Representatives and the Committee on Finance of the Senate] without any prior review or comment from the Commissioner, the Secretary of the Treasury, the Oversight Board, any other officer or employee of the Department of the Treasury, or the Office of Management or Budget. IRC 7803(c)(2)(B)(iii).

Objectives Report Filing Season Analysis Areas of Focus for upcoming fiscal year (i.e., systemic issues) TAS operational focus for upcoming fiscal year IRS responses to prior year s Annual Report administrative recommendations.

Annual Report to Congress Most Serious Problems: a summary of the most serious problems encountered by taxpayers, including a description of the nature of such problems along with recommendations... as may be appropriate to resolve problems encountered by taxpayers. IRC 7803(c)(2)(B)(ii)(III) and (VIII).

Annual Report to Congress (cont d) Legislative Recommendations as may be appropriate to resolve problems encountered by taxpayers. IRC 7803(c)(2)(B)(ii)(VIII); and Identify areas of the tax law that impose significant compliance burdens on taxpayers or the IRS, including specific recommendations for remedying these problems. IRC 7803(c)(2)(B)(ii)(IX).

Annual Report to Congress (cont d) Most Litigated Issues: identify the 10 most litigated issues for each category of taxpayers, including recommendations for mitigating such disputes. IRC 7803(c)(2)(B)(ii)(X) And. Include such other information as the National Taxpayer Advocate may deem advisable. IRC 7803(c)(2)(B)(ii)(XI). [The NTA s favorite provision!]

TAS Promotes Taxpayer Trust TAS casework serves as a check on the coercive power of the tax agency. The taxpayer can have some expectation that if he makes a mistake or experiences some kind of hardship, there is an entity that can ensure the government takes into consideration those specific circumstances. (The right to a fair and just tax system.)

TAS Promotes Taxpayer Trust (cont d) TAS ensures not only that taxpayers can present their case to the IRS but that the IRS listens to the taxpayers (the right to challenge the IRS and be heard) and provides explanations for its actions (the right to be informed). Through the Low Income Taxpayer Clinic Grant program, TAS ensures that taxpayers have access to legal representation regardless of income level (the right to retain representation).

TAS Promotes Taxpayer Trust (cont d) About 48% of TAS taxpayers who received relief in their TAS cases felt more positive about the IRS as a result of their interaction with TAS. About 36% of TAS taxpayers who did not receive relief in their TAS cases still felt more positive about the IRS as a result of their interaction with TAS. [TAS Customer Satisfaction Surveys, through 3 rd quarter FY 2015.]

Challenges Independent Counsel Independent Budget/Appropriations Amicus Brief Authority Agency acknowledgement and acceptance of TAS Role (see August 2013 NTA Report to Acting Commissioner) Managing conflict/adversarial relations between TAS and IRS are they avoidable?