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

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Working with the IRS Office of Appeals What to Expect in Examination Appeals Glenn Gizzi Fall 2017

The Office of Appeals Established in 1927 Informal administrative forum Settle tax disputes without trial Fair and Impartial Independent

The Mission of Appeals To resolve tax controversies, without litigation, on a basis which is fair and impartial to both the Government and the taxpayer in a manner that will enhance voluntary compliance and public confidence in the integrity and efficiency of the Service.

Accomplishing the Mission How do we accomplish the Mission of Appeals? Listening and considering both sides Considering and evaluating all arguments and available information Independently determining the best settlement of the tax dispute by weighing the hazards of litigation

Ex Parte Communications Section 1001(a) of the IRS Restructuring and Reform Act of 1998 (RRA 98) required that the Commissioner ensure an independent Appeals function This includes the prohibition of ex parte communications between Appeals personnel and other IRS personnel to the extent that such communications appear to compromise the independence of Appeals

Types of Examination Cases Non-Docketed 30-day or Protested cases Innocent spouse Claims and audit reconsideration Penalty and Interest abatement Docketed Petitioned cases

Appeals Process Conference Discuss facts, arguments and law Render determination with settlement proposal

Representation in Appeals Attorney Certified Public Accountant (CPA) Enrolled Agent (EA)

Prompt Resolution Adequate protest Early submission of documentation Make a settlement offer Adhere to due dates Avoid postponing or delaying conference

Conference Methods Telephone Correspondence Virtual In Person

Docketed Cases Two types S-Cases Regular cases

Hazards of Litigation (HOL) Factual Legal Evidentiary

New Issues/Information With new information or evidence, Appeals Officer will: Determine if new info merits additional analysis or investigation by examination If so: Appeals will return case for examination of info/evidence and make a determination See IRM 8.6.1.6.5

New Theory or New Argument When a taxpayer raises a new theory/argument, exam may evaluate and provide their opinion Appeals will retain jurisdiction and allow original examiner to review and comment

Corroborating vs. New Information Some information may be deemed not new information but instead corroborating or supporting information In these instances it would not be required to return the case to Compliance for consideration

Case Procedures Docketed Cases Appeals focuses on reducing the number of cases that go to trial by settling them Appeals does not investigate or analyze records When taxpayer wants to submit new information, AP reviews to determine whether it merits additional analysis by Compliance If so, AO makes an Examination Assistance Request

Alternative Dispute Resolution (ADR) While cases are still under the jurisdiction of Compliance, ADR programs should be considered to attempt resolution of the disputed issues Early Referral Fast Track Settlement

Early Referral Objective is for exam to work simultaneously with Appeals to resolve cases more quickly Taxpayers whose returns are under jurisdiction of exam may request transfer of a developed but unagreed issue to Appeals

Fast Track Settlement (FTS) Prior to issuance of 30-day letter Not in agreement with adjustments Does not extend 30-day period Taxpayers retain appeal rights LB&I 120 days see Publication 4539 SBSE 60 days see Publication 5022 TEGE 60 days see Publication 5092

Post Appeals Mediation (PAM) Non-Binding Utilize a mediator May utilize a co-mediator Mediator does not have settlement authority Refer to Publication 4167

Case Study 1 Casualty loss on home and business Claimed loss disallowed based on insurance reimbursement Notice of Deficiency issued Appeals Officer sustained determination

Case Study 2 Taxpayer provides tax preparation services Examiner conducted EIC due diligence review IRC Section 6695 due diligence penalty asserted Failed knowledge and/or record keeping requirements Taxpayer appealed penalty

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