Under IRC 7602 (C), it states that the IRS is prohibited to contact any person, other than the taxpayer without prior notification. The code continues to read that an exemption may be allowed if the taxpayer authorized it previously. If an examination is being conducted and is in it's initial stages (client received initial doc request for information), and the examiner contacts the tax preparer, who, once the audit was initiated, the taxpayer didn't authorize anyone, is that in violation of this code even if the taxpayer checked the box on the return authorizing the preparer to discuss the return with the IRS? IRS is saying that they were authorized on the return, which was filed in 2007. The audit was initiated in 2009. Does this code apply only to authorizations after the audit was started? Or is that authorization for all future audits on that year the return was filed?
Announcement
Collapse
No announcement yet.
Third Party Contact Violation
Collapse
X
-
Without researching it
Originally posted by kpangelinan View PostUnder IRC 7602 (C), it states that the IRS is prohibited to contact any person, other than the taxpayer without prior notification. The code continues to read that an exemption may be allowed if the taxpayer authorized it previously. If an examination is being conducted and is in it's initial stages (client received initial doc request for information), and the examiner contacts the tax preparer, who, once the audit was initiated, the taxpayer didn't authorize anyone, is that in violation of this code even if the taxpayer checked the box on the return authorizing the preparer to discuss the return with the IRS? IRS is saying that they were authorized on the return, which was filed in 2007. The audit was initiated in 2009. Does this code apply only to authorizations after the audit was started? Or is that authorization for all future audits on that year the return was filed?
about... 9 months after return was filed.
It was never meant to serve as a POA for audit purposes. Never.
Stand your ground on this one,unless you will represent client with properly executed
POA.ChEAr$,
Harlan Lunsford, EA n LA
-
I agree with Harlan. I also think that once the tax return is processed through the IRS system, they are not allowed to contact you. Only initially if documentation is missing or needs clarification.
Surely not for any audit reason, no matter what for or how soon after the tax return was filed.
Comment
Disclaimer
Collapse
This message board allows participants to freely exchange ideas and opinions on areas concerning taxes. The comments posted are the opinions of participants and not that of Tax Materials, Inc. We make no claim as to the accuracy of the information and will not be held liable for any damages caused by using such information. Tax Materials, Inc. reserves the right to delete or modify inappropriate postings.
Comment