Washington (June 19, 2002) -- The Internal Revenue Service has announced a policy change to help the agency shut down abusive tax avoidance transactions. 


Under the new policy, the IRS may request tax accrual workpapers when it audits returns that claim a tax benefit from certain tax avoidance transactions that the IRS has identified as abusive.


“This limited expansion of when the IRS will request tax accrual workpapers is critical to our ongoing effort to curb abusive tax avoidance transactions and to ensure compliance with the tax laws,” said IRS Commissioner Charles O. Rossotti.  “It is an important part of our mission of ensuring fairness to all taxpayers.”


The new policy primarily affects returns filed on or after July 1, 2002.  For those returns, whether the request for tax accrual workpapers will be routine or merely discretionary, or will be limited to the abusive transaction rather than all the workpapers, will depend on several factors, including whether the abusive transaction was disclosed.  For returns filed before July 1, 2002, the IRS may request tax accrual workpapers if the taxpayer did not make the required disclosure of the abusive transactions. 


“This new policy encourages taxpayers to avoid overly aggressive transactions,” IRS Chief Counsel B. John Williams said.  “It brings a new vitality to our self-assessment system and changes the risk calculus to make investing in overly aggressive transactions a very costly proposition.  It is another example of the IRS using existing tools for effective tax administration.”

 -- Electronic Accountant Newswire staff  

Register or login for access to this item and much more

All Accounting Today content is archived after seven days.

Community members receive:
  • All recent and archived articles
  • Conference offers and updates
  • A full menu of enewsletter options
  • Web seminars, white papers, ebooks

Don't have an account? Register for Free Unlimited Access