By Thomas M Porcano
This name is a part of a chain facing all features of taxation, together with tax coverage and concerns on the federal, nation, neighborhood, or foreign point. The sequence essentially publishes empirical reviews that tackle compliance, laptop utilization, schooling, felony, making plans, or coverage matters.
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Extra resources for Advances in Taxation, Volume 14
In Frederick, the advisor (both a lawyer and accountant) provided legal representation to, and prepared the tax returns of, his clients and their company . The IRS summonsed numerous documents, most of which Frederick created in connection with the tax return preparation . e . documents prepared for use in preparing tax returns and for use in litigation) are not protected . He elaborated that while the case occurred prior to the effective date of IRC Section 7525, the section would have had no effect on the Court's analysis in the case .
CPA's should not be practicing law . If you want the traditional 53 The Expanded Taxpayer Confidentiality Privilege Survey Results - Practice Issues (N=44-Accounting Affiliation Only) . Table 3. Yes of Total Responses No Response No Range No . 09 2 I . At the request of my client, I have exerted the Confidentiality Privilege of Section 7525 in financial status ("lifestyle") audits . 09 No Response 2 . At the request of my client, I have exerted the Confidentiality Privilege of Section 7525 to refuse IRS Information Document Requests (tDRs) .
Subsequent to the enactment of the Confidentiality Privilege, concerns have been raised about the scope and usefulness of the privilege . The purpose of this study is to examine the historical development and statutory provisions of IRC Section 7525 and to assess, through the use of survey responses, the impact of the Confidentiality Privilege on the accounting profession . This study is valuable because it is one of the first to examine how the Confidentiality Privilege has affected practice by using feedback (via a survey) from accounting practitioners .