IRS Announces Tax Filing Season Changes Aimed at Tax Scams
The IRS and the Coalition of Scam and Scheme Threats (CASST) have announced changes for the 2025 filing season to protect taxpayers from scams and schemes.
Read MoreThe IRS and the Coalition of Scam and Scheme Threats (CASST) have announced changes for the 2025 filing season to protect taxpayers from scams and schemes.
Read MoreThe IRS has issued final regulations (TD 10030) that significantly impact the resolution of Federal tax controversies by the Independent Office of Appeals (Appeals). These regulations, which implement section 7803(e) of the Internal Revenue Code (Code) as enacted by the Taxpayer First Act of 2019 (TFA), provide essential guidance for tax professionals.
Read MoreThe Internal Revenue Service (IRS) has issued final regulations (TD 10029) that identify certain micro-captive transactions as listed transactions and transactions of interest, both of which are types of reportable transactions. These regulations, which are effective January 14, 2025, require material advisors and certain participants to file disclosures with the IRS, with penalties for non-compliance. This article provides an overview of these regulations and their implications for CPAs and their clients.
Read MoreThe Internal Revenue Service (IRS) has announced tax relief for individuals and businesses in southern California affected by the wildfires and straight-line winds that began on January 7, 2025. This relief postpones various tax filing and payment deadlines to October 15, 2025.
Read MoreThe Internal Revenue Service (IRS) has released proposed regulations (REG-101268-24) providing guidance on retirement plan catch-up contributions, reflecting changes introduced by the SECURE 2.0 Act of 2022. These regulations, which amend 26 CFR Part 1, primarily affect retirement plans under IRC Sections 401(k), 403(b), and 414(v). The proposed rules introduce new requirements for Roth catch-up contributions and changes to applicable dollar limits. This article will analyze these proposed regulations, citing relevant legal and regulatory authorities to provide a comprehensive understanding.
Read MoreThe Internal Revenue Service (IRS) and the Treasury Department have issued final regulations (T.D. 10028) under section 6011 of the Internal Revenue Code (Code), aimed at curbing tax avoidance through certain partnership related-party basis adjustment transactions. These regulations, which add § 1.6011-18 to the Income Tax Regulations, identify these transactions as “transactions of interest,” a type of reportable transaction. This article provides a comprehensive overview of these final regulations, including their effective date, the specific sections of the Code they interpret or impact, and the relevant authorities cited.
Read MoreThe Internal Revenue Service (IRS) has released proposed regulations providing guidance on the qualified commercial clean vehicle credit under Section 45W of the Internal Revenue Code (IRC). This credit, enacted as part of the Inflation Reduction Act of 2022 (IRA), offers a significant tax benefit to businesses investing in clean transportation. These proposed regulations aim to clarify several aspects of the credit, including the definition of qualified vehicles, the calculation of the credit amount, and reporting requirements.
Read MoreThe SECURE 2.0 Act, enacted on December 29, 2022, brought about several key modifications to the rules governing retirement plans. Among these, Section 101 of the Act introduced Section 414A to the Internal Revenue Code (Code), which mandates automatic enrollment for specific retirement plans. The proposed regulations, issued by the IRS and the Department of the Treasury, interpret and implement these statutory changes. Additionally, the Act included provisions related to the consolidation of notices, which impact how plan sponsors communicate with participants.
Read MoreThis Joint Committee on Taxation report (JCX-1-25) lists various federal tax provisions that have expired or are scheduled to expire between 2024 and 2034\. The provisions are categorized by the year in which they expire.
Read MoreThis Tax Court case, Ishveen K. Chopra v. Commissioner, T.C. Memo. 2025-2, serves as a stark reminder of the consequences of not only failing to properly substantiate deductions, but also engaging in outright fraud. The Court upheld the IRS’s determination of a $30,520 deficiency and a civil fraud penalty of $22,890. This case provides valuable insights into the standards of proof and the “badges of fraud” that tax professionals should be aware of.
Read MoreA US District Court court granted a preliminary injunction and stay in the case of Smith, et al. v. US Department of the Treasury, Case No. 6:24-cv-00336, US District Court ED Texas, finding that the Corporate Transparency Act (CTA) and its implementing rule are likely unconstitutional. The court determined that the plaintiffs, Samantha Smith and Robert Means, demonstrated a substantial likelihood of success on the merits, a substantial risk of irreparable harm, and that the balance of equities and public interest supported preliminary relief.
Read MoreRevenue Ruling 2025-3 and Revenue Procedure 2025-10 provide updated guidance regarding Section 530 of the Revenue Act of 1978, which addresses controversies involving whether individuals are employees for purposes of employment taxes.
Read MoreThe National Taxpayer Advocate (NTA) has released the 2024 Annual Report to Congress, along with the 2025 Purple Book, a compilation of legislative recommendations. These documents highlight critical issues facing taxpayers and propose solutions that could significantly impact tax practice. This article will delve into the key findings of the report and the legislative recommendations, offering insights relevant to CPAs in tax practice.
Read MoreBankUnited, Inc. v. United States of America, US District Court Southern District of Florida, Case no. 1:23-cv-20379-KMM, revolves around a tax refund dispute initiated by BankUnited, Inc. (BUI) against the United States of America. The dispute arose from BUI’s 2009 acquisition of a failed bank and the subsequent tax treatment of the acquired assets.
Read MoreThe Seventh Circuit Court of Appeals decided the case of Bachner v. Commissioner, No. 24-1420, on January 7, 2025, which provides a clear illustration of how the IRS and courts handle cases of fraudulent tax returns and the assessment of penalties. This case particularly highlights the complexities surrounding the calculation of underpayments when taxpayers fraudulently overstate their withholdings.
Read MoreThe “Employer Reporting Improvement Act” (H.R. 3801\) makes several amendments to the Internal Revenue Code of 1986, primarily concerning employer reporting requirements related to health insurance coverage. Here’s a breakdown of the key provisions and their effective dates:
Read MoreThe IRS has published Revenue Procedure 2024-44[^1], an update on adequate disclosure on tax returns that are filed for purposes of reducing penalties that may be imposed on a taxpayer under IRC §6662(d) or on a tax preparer under IRC §6694. The IRS normally releases these updates annually.
Read MoreMatthew Hutcheson at the very end of 2024 and very beginning of 2025 received both good news and bad news. Mr. Hutcheson, who had been convicted of wire fraud in 2013 and sentenced to 17 years in prison had his remaining sentence commuted by President Biden as part of his end of term pardons and sentence commutations on December 12, 2024. But three days into 2025, Mr. Hutcheson received less upbeat news, as the Tax Court found he owed taxes on the amounts he embezzled that led to those 2013 convictions in the case of Hutcheson v. Commissioner.
Read MoreIn the case of Capitol Places II Owner, LLC, et al v. Commissioner, the Tax Court denied a charitable contribution deduction for a facade easement, finding the building in question did meet the definition of a certified historic structure under IRC §170(h)(4).
Read MoreIRS Action on Decision (AOD) 2024-01[^1] addresses the validity of listing notices issued without following the Administrative Procedure Act (APA) notice-and-comment rulemaking procedures, specifically after the American Jobs Creation Act of 2004 (AJCA).
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