Shulman acknowledges IRS has changed the game on compliance

Shulman acknowledges IRS has changed the game on compliance

By Erin Kelechava in Washington, DC

shulman.jpg

Shulman: With more information, comes more responsibility

Source: www.flickr.com

Doug Shulman, Commissioner of the US Internal Revenue Service (IRS), spent much of his speech at Tax Executive Institute's mid-year meeting last month reassuring the audience that he appreciated their concerns over new IRS compliance proposals.

Shulman referred to announcement 2010-9, released in January, as a big step towards fostering transparency in the tax system. The announcement describes changes to how corporate taxpayers will be required to report uncertain tax positions. These new reporting requirements are causing serious concern among large corporate taxpayers about the amount of information the IRS will now have about potential tax liabilities.

"While I believe our approach is reasonable, let me be clear – I also understand that it is a "game-changer" with respect to our relationships with and responsibility to our large corporate taxpayers," he said. "We are moving away from what I would describe as a contentious relationship where we spend too much of our time identifying issues, to one where we know the issues from the outset and spend our time engaging on appropriate issues."

The commissioner stressed that in developing the programme, the IRS tried to craft a proposal that provides the Service with the information it needs, without forcing taxpayers to divulge its opinions about the strengths and weaknesses of their uncertain tax positions.

He acknowledged that although "some friction in the system is healthy" , he also believes that the new proposals will allow both parties to assure that time is efficiently spent discussing the law rather than searching for facts, and would allow the examiners to prioritise issues, resulting in a more timely and less fraught resolution process.

The IRS chief also tried to provide some reassurance about litigation that is of serious concern to taxpayers. He said that the Service is maintaining its policy of restraint about tax accrual workpapers. This has been the subject of a recent case in the US Court of Appeals for the First Circuit, US v Textron.

Shulman also addressed concerns about the redundancy of information taxpayers file with the IRS. He announced that the IRS is planning to consider the reporting of uncertain tax positions as adequate disclosure for purposes of penalty provisions in other tax statutes.

In response to a question from the audience as to how the IRS would train its examiners to use the information contained in the new schedule of uncertain positions properly, Shulman was candid.

"This proposal has laid bare the distrust on both sides of the audit table," he said.

For the IRS' part, Shulman noted that "with more information comes more responsibility".

Changes to CAP and increased published guidance

Shulman also announced the expansion of the Compliance Assurance Program (CAP) initiative, which he referred to as "the most successful foray to date into enhancing transparency". The IRS is now trying to make the CAP pilot programme permanent, and is working on developing a pre-CAP process to allow taxpayers an easier path to enrolment in the programme.

The Service is also developing a CAP maintenance programme so that when issues arise between tax seasons, taxpayers that are involved in the program will be able to gain more benefit from the greater certainty that the program affords.

The commissioner said that the use of published guidance will be front and centre in the government's efforts to eliminate uncertainty. "We won't hesitate to go to Congress with issues that are ambiguous and require clarification," he said.

more across site & shared bottom lb ros

More from across our site

Firms are spending serious money to expand their tax advisory practices internationally – this proves that the tax practice is no mere sideshow
The controversial deal would ‘preserve the gains achieved under pillar two’, the OECD said; in other news, HMRC outlined its approach to dealing with ‘harmful’ tax advisers
Former EY and Deloitte tax specialists will staff the new operation, which provides the firm with new offices in Tokyo and Osaka
TP is a growing priority for West and Central African tax authorities, writes Winnie Maliko, but enforcement remains inconsistent, and data limitations persist
The UK tax agency has appointed six independent industry specialists to the panel
The two tax partners have significant experience and expertise in transactional and tax structuring matters
Katie Leah’s arrival marks a significant step in Skadden’s ambition to build a specialised, 10-partner London tax team by 2030, the firm’s European tax head tells ITR
Increasingly, clients are looking for different advisers to the established players, Ryan’s president for European and Asia Pacific operations tells ITR
Using tax to enhance its standing as a funds location is behind Luxembourg’s measures aimed at clarifying ATAD 2 and making its carried interest regime more attractive
Encompassing everything from international scandals to seismic political events, it’s a privilege to cover the intriguing world of tax
Gift this article