What Does a Taxpayer Have to Do in Order to Show Abuse of Discretion in a Collection Due Process Case?
Tax Court

What Does a Taxpayer Have to Do in Order to Show Abuse of Discretion in a Collection Due Process Case?

Valerie Bishop, Petitioner v. Commissioner of Internal Revenue, Respondent T.C. memo, 2020-36 | Filed March 17, 2020 In this collection due process (CDP) case, the taxpayer has the option of selecting a collection alternative such as an installment agreement or offe... Steven R. Diamond, CPA, USTCP

Ethical Due Diligence – Self Cancelling Terms
Feature Article

Ethical Due Diligence – Self Cancelling Terms

Due diligence. Two little words with oversized implications for tax professionals. In most cases, under the due diligence guidelines set forth in Circular 230, tax professionals can rely on the representations of their clients without having to verify the accuracy or veracity of those rep... Dave Du Val, EA

Feature Article

Due Diligence: It’s Not Just About EITC Anymore!

Due Diligence IT'S NOT ABOUT EITC ANYMORE By Kathy Morgan, EA, USTCP How many of you are starting to feel like we work for the IRS, “pre-auditing” clients for them? As grEAt tax professionals, the rock that we stand on has always been and will always be our integrity. However, just how much must we scrutinize our clients’ information to meet our obligations to the IRS, our clients’ well-b... Kathy Morgan, EA, USTCP