Exam 1 review Flashcards
An understatement is considered “substantial” if it is more than the larger of 10% of the correct tax or __________.
$10,000
In order to qualify for the Child Tax Credit, what is needed?
Both the child and parent must have a valid Social Security number
What happens when the IRS files a “substitute return” for a taxpayer?
A substitute return may not give the taxpayer credit for all exemptions, credits, and deductions he is entitled to receive. The taxpayer may still file his own tax return to take advantage of any exemptions, credits, and deductions he is entitled to receive. The IRS will generally adjust the account to reflect the correct figures.
Do Revenue Rulings meet the “substantial authority” standard for taking a position on a tax return?
Yes
Where can refunds be deposited?
Only in U.S bank accounts and prepaid debit cards
Can a tax refund be used to purchase U.S. savings bonds?
Yes
Can a taxpayer-payer request an audit reconsideration of a prior year’s audit if the tax assessment has already been paid in full?
No
Can a taxpayer request an installment agreement if they are not in filing compliance?
No, in order for the IRS to grant a guaranteed installment agreement, a taxpayer must have not failed to file any income tax returns or pay any tax shown on such returns during any of the preceding five taxable years.
Does the IRS charge a “user fee” when setting up an installment agreement?
Yes
A case in the U.S. Tax Court is commenced by _________.
The filing of a petition
Enrolled agents who do not comply with the requirements for renewal of enrollment will be contacted by the Return Preparer Office. How much time does the EA have to respond to the RPO?
60 days from the date of the notice
The statute of limitations for the criminal offense of willfully attempting to evade or defeat any tax is:
Six years
How does a taxpayer submit additional documentation to the IRS on an e-filed tax return?
The taxpayer should use Form 8453 and mail in supporting documentation.
With regards to the IRS e-file program, what is a “Responsible Official?”
A Responsible Official is an individual with primary authority over the Provider’s IRS e-file operation at a location.
If the taxpayer requests a CDP hearing and provides frivolous arguments, in whole or in part, those arguments will not be heard. If the appeal is deemed frivolous, a taxpayer will be given:
30 days to withdraw or amend the CDP appeal
In case of a data breach, a tax preparer has _______to contact the IRS.
One day
Which IRS office administers the Annual Filing Season Program for tax return preparers?
The Return Preparer Office
To claim a refund of federal taxes withheld on income from a U.S. source, a nonresident alien must report the appropriate income and withholding amounts on:
Form 1040-NR, U.S. Nonresident Alien Income Tax Return
A notice of deficiency also called:
“statutory notice of deficiency” or “90-day letter
In order to determine if an individual taxpayer has a filing requirement, what information is required?
The taxpayer’s income, filing status, and age.
Is an EA required to file an FBAR for a client?
No, but they must advise the client of their filing obligation.
Three types of relief from “joint and several liability”?
- Innocent spouse
- Separation of liability
- Equitable
A Circular 230 practitioner must, when requested by the Office of Professional Responsibility, provide OPR with any information he or she may have regarding a violation of Circular 230 regulations by any person. An exception to this duty is made if:
- The practitioner believes in good faith and on reasonable grounds that such information is privileged
- That the request is of doubtful legality.
Which governmental organization administers and enforces the regulations governing practice before the IRS?
The Office of Professional Responsibility
In order for this monthly allowance to be non-taxable to a taxpayer, they must adequately account for the expenses within______ after they were paid or incurred. This is an example of an accountable plan.
60 days
For OPR to prevail in a disciplinary proceeding, OPR must prove by:
“clear and convincing evidence” that a taxpayer willfully violated one or more provisions of Circular 230.
Who is allowed to determine the time and place for an audit of a taxpayer?
The IRS