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IRS discusses financial status audit techniques.


Revenue agents have inquired whether they are still permitted to drive by a taxpayer's house or conduct a Lexis Lexis®

An online legal information service that provides the full text of opinions and statutes in electronic format. Subscribers use their personal computers to search the Lexis database for relevant cases. They may download or print the legal information they retrieve.
 search to ascertain if the taxpayer purchased real estate during the year(s) at issue prior to having a reasonable indication that there is a likelihood of unreported income, in light of Sec. 7602(e) (which restricts the use of financial status audit techniques).

Analysis

The Internal Revenue Service Restructuring and Reform Act of 1998 added Sec. 7602(e),"Limitation on Financial Status Audit Techniques." Sec. 7602(e) provides that "[t]he Secretary shall not use financial status or economic reality examination techniques to determine the existence of unreported income of any taxpayer unless the Secretary has a reasonable indication that there is a likelihood of such unreported income."

The legislative history of Sec. 7602(e) reflects that, prior to its enactment, the IRS An abbreviation for the Internal Revenue Service, a federal agency charged with the responsibility of administering and enforcing internal revenue laws.  could use financial status or economic reality audit techniques to determine the existence of unreported income. The legislative history states that Sec. 7602(e) merely prohibits the use of such audit techniques to determine the existence of unreported income until the Service has a reasonable indication that there is a likelihood of such unreported income.

Prior to enacting Sec. 7602(e), the House Committee on Ways and Means WAYS AND MEANS. In legislative assemblies there is usually appointed a committee whose duties are to inquire into, and propose to the house, the ways and means to be adopted to raise funds for the use of the government. This body is called the committee of ways and means.  requested that the General Accounting Office (GAO) report on the frequency and results of the use of financial status audit techniques to identify unreported income, due to concerns over the treatment of (and the burdens placed on) taxpayers. The Code does not define the term "financial status audit techniques." As used in the GAO's report, financial status or economic reality audit techniques consist of indirect methods of examination, such as the bank-deposits method, the cash-transaction method, the net-worth method, the percentage-of-markup method, and the unit-and-volume method. The GAO concluded that these techniques were never used alone; they were used with other techniques to explore issues other than unreported income, such as overstated o·ver·state  
tr.v. o·ver·stat·ed, o·ver·stat·ing, o·ver·states
To state in exaggerated terms. See Synonyms at exaggerate.



o
 deductions.

There are two distinct types of methods of proof in tax cases--direct (or specific-item) methods and indirect methods (financial status or economic reality examination techniques). In the direct or specific-item methods, specific items are demonstrated as the source of unreported income. With the specific-item method of proof, the IRS uses evidence of the receipt of specific items of reportable income that do not appear on a taxpayer's return. For example, the Service tracks funds from known sources to deposits made to a taxpayer's bank accounts, rather than analyzing bank deposits to identify unreported income from unknown sources. The IRS does not use specific items to support an inference (logic) inference - The logical process by which new facts are derived from known facts by the application of inference rules.

See also symbolic inference, type inference.
 of unreported income from unidentified sources. The use of direct methods simply does not implicate im·pli·cate  
tr.v. im·pli·cat·ed, im·pli·cat·ing, im·pli·cates
1. To involve or connect intimately or incriminatingly: evidence that implicates others in the plot.

2.
 Sec. 7602(e). Thus, there is no prohibition requiring the Service to have a reasonable indication that there is a likelihood of unreported income before resorting to such methods.

When using an indirect method, a taxpayer's finances are reconstructed re·con·struct  
tr.v. re·con·struct·ed, re·con·struct·ing, re·con·structs
1. To construct again; rebuild.

2.
 through circumstantial evidence circumstantial evidence

In law, evidence that is drawn not from direct observation of a fact at issue but from events or circumstances that surround it. If a witness arrives at a crime scene seconds after hearing a gunshot to find someone standing over a corpse and holding a
. For example, the IRS shows (through increases in net worth, increases in bank deposits or the presence of cash expenditures) that a taxpayer's wealth grew during a tax year beyond what could be attributed to his reported income, thereby raising an inference of unreported income. Indirect methods are used to support an inference of unreported income from unidentified sources.

The bank-deposits indirect method is an analysis of bank deposits to prove unreported income from unidentified sources. This method, which computes income by showing what happened to a taxpayer's funds, may be considered to be a financial status technique when it is used without specific knowledge of a possible traceable source. As such, it is used to supply leads to possible unreported income from sources of such deposits.

For the cash-transaction indirect method, the Service calculates the unreported income as the amount that a taxpayer's cash expenditures exceeded his sources of cash, including cash on hand at the beginning of the tax period in question, for the particular year. The IRS uses the taxpayer's return and other sources to ensure that adequate income has been reported to cover expenses.

The net-worth method requires establishing a taxpayer's net worth at the start of a tax year by listing all assets (including cash on hand) and all liabilities, with the balance being the taxpayer's net worth. A similar analysis is made for the first day of the next tax year. To any change in the net worth, the Service adds nondeductible non·de·duct·i·ble  
adj.
Not deductible, especially for income-tax purposes.

Adj. 1. nondeductible - not allowable as a deduction
deductible - acceptable as a deduction (especially as a tax deduction)
 expenditures for living expenses, then deducts receipts from sources that are not taxable income Under the federal tax law, gross income reduced by adjustments and allowable deductions. It is the income against which tax rates are applied to compute an individual or entity's tax liability. The essence of taxable income is the accrual of some gain, profit, or benefit to a taxpayer.  and the amounts represented by applicable tax deductions Tax deduction

An expense that a taxpayer is allowed to deduct from taxable income.


tax deduction

See deduction.
 and exemptions. If the increase in net worth, as adjusted, exceeds the reported taxable income, the inference is drawn that there is unreported income.

With the percentage-of-markup method, the IRS reconstructs income derived from percentages or ratios considered typical for a business or item under examination. This method consists of an analysis of either sales or cost of sales and the appropriate application of a percentage of markup (text) markup - In computerised document preparation, a method of adding information to the text indicating the logical components of a document, or instructions for layout of the text on the page or other information which can be interpreted by some automatic system.  to arrive at a taxpayer's gross profit. By reference to similar businesses or situations, percentage computations are secured to determine sales, cost of sales, gross profit or even net profit. Likewise, by the use of some known base and the typical percentage applicable, individual items of income or expenses may be determined. These percentages can be obtained from an analysis of Bureau of Labor Statistics Bureau of Labor Statistics (BLS)

A research agency of the U.S. Department of Labor; it compiles statistics on hours of work, average hourly earnings, employment and unemployment, consumer prices and many other variables.
 data, commercial publications or a taxpayer's records for other periods.

With the unit-and-volume method, gross receipts the total of the receipts, before they are diminished by any deduction, as for expenses; - distinguished from net profits.
- Bouvier.

See under Gross,

a. os>

See also: Gross Receipt
 are determined or verified by applying price and profit figures to the volume of business done by a taxpayer. The number of units or volume of business may be determined from the taxpayer's books and records if they adequately reflect cost of goods sold Cost of goods sold

The total cost of buying raw materials, and paying for all the factors that go into producing finished goods.


cost of goods sold 
 or expenses. This method is recommended when the Service can determine the number of units handled by the taxpayer and knows the price or profit charged per unit.

Conclusion

We have not been provided with any specific factual circumstances under which a revenue agent would drive by a taxpayer's house. Nonetheless, this activity would not be prohibited pro·hib·it  
tr.v. pro·hib·it·ed, pro·hib·it·ing, pro·hib·its
1. To forbid by authority: Smoking is prohibited in most theaters. See Synonyms at forbid.

2.
 if used in determining whether there is a reasonable indication of the likelihood of unreported income, so that the IRS could resort to setting up unreported income under an indirect method. Notably, driving by a taxpayer's house would not be an intrusion on the taxpayer. However, the Internal Revenue Manual cautions that, due to privacy issues and the intrusiveness in·tru·sive  
adj.
1. Intruding or tending to intrude.

2. Geology Of or relating to igneous rock that is forced while molten into cracks or between other layers of rock.

3. Linguistics Epenthetic.
 of inspecting a taxpayer's residence, agents should limit such inspections. The purpose of inspecting a taxpayer's residence includes, but is not limited to, determining the validity of deductions for an office or business located in the residence and determining the taxpayer's financial status.

Conducting a Lexis search to ascertain if a taxpayer purchased real estate would be useful when using the net-worth method. Such a search would not be prohibited if used in determining whether there is a reasonable indication that there is a likelihood of unreported income so that the Service could resort to setting up unreported income under the net-worth method or any other indirect method. A search of property records available to the public is not an intrusion on a taxpayer.

FIELD SERVICE ADVICE (FSA FSA Financial Services Authority
FSA Food Standards Agency (UK)
FSA Farm Service Agency (USDA)
FSA Financial Services Agency (Japan) 
) 200101030 (10/25/00)

REFLECTIONS: Practitioner and taxpayer concerns over the IRS's use of financial status audit techniques led to the enactment of Sec. 7602(e). For a discussion of some of the issues and problems involved (and the AICPA's efforts in this area), see TTA TTA Telecommunications Technology Association (Korea)
TTA Teacher Training Agency (UK)
TTA Triangle Transit Authority (Raleigh/Chapel Hill/Durham, North Carolina, USA) 
, Feb. 1996, p. 110 and April 1996, p. 218.
COPYRIGHT 2001 American Institute of CPA's
No portion of this article can be reproduced without the express written permission from the copyright holder.
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Article Details
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Author:Fiore, Nicholas J.
Publication:The Tax Adviser
Geographic Code:1USA
Date:Mar 1, 2001
Words:1251
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