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2015 Tax Law & IRS Updates

Richard G. Furlong, Jr. Senior Stakeholder Liaison. 2015 Tax Law & IRS Updates. Main Line Association for Continuing Education Penn State Great Valley Conference Center October 22, 2015. Overview of Topics. ABLE ACA provisions Information return penalties Changes in due dates

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2015 Tax Law & IRS Updates

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  1. Richard G. Furlong, Jr. Senior Stakeholder Liaison 2015Tax Law & IRSUpdates Main Line Association for Continuing Education Penn State Great Valley Conference Center October 22, 2015

  2. Overview of Topics • ABLE • ACA provisions • Information return penalties • Changes in due dates • Expired provisions • Web resources • IRS Updates

  3. ABLE Act Achieving a Better Life Experience • The ABLE Act adds IRC Section 529A ‒ Creates tax-free savings accounts for individuals with disabilities • A qualified ABLE program is established and maintained by a state, or agency or instrumentality thereof • An individual must have qualified disability prior to age 26 or a disability certification to qualify for ABLE account • Qualified expenses: education, housing, transportation, employment training, etc.

  4. ACA - Reporting Coverage  Check box and leave entry space blank if everyone on the return had coverage for the full year

  5. Information Statements • Marketplace‒ Form 1095-A, Health Insurance Marketplace Statement • Insurers ‒ Form 1095-B, Health Coverage • Large employers – Form 1095-C, Employer-Provided Health Insurance Coverage and Offer

  6. Return Preparer Interview Best Practices • Use Form 1095-A, B or C to • Verify coverage months and • Who is covered • Determine eligibility for exemption • Marketplace Exemption Certificate Number • Income below return filing threshold or • IRS coverage exemptions

  7. Common Errors • Eligible for coverage exemption but did not claim • Income below filing threshold • Not lawfully present • Coverage gaps • Miscalculated Shared Responsibility Payment • Shared Responsibility Payment on dependent returns

  8. 2015: What You Need to Know • Forms 1095-A, B and C • Apply for Marketplace exemptions early • ISRP amounts increase • 2016 Marketplace enrollment • Nov 1, 2015 to January 31, 2016 • Special enrollment periods

  9. Increased Information Return Penalties • Revised penalty structure for information returns • Penalties imposed for: • Failure to file information returns • Failure to furnish information returns • Filing incomplete information returns • Filing returns with incorrect information • Effective for returns and statements required to be filed/furnished after 12/31/2015 IRC 6721 & 6722

  10. Increased Penalties The penalty for failure to file correct information returns and provide payee statements is $250 (total not to exceed $3 million) • If corrected in 30 days penalty is $50 (total not to exceed $500,000) • If corrected after 30 days but before August 1, penalty is $100 (total not to exceed $1.5 million) IRC 6721

  11. Form 1065 and 1120-S Due Dates Form 1065 and Form 1120-S Due Dates: • Fifteenth day of third month following close of tax year (March 15th for calendar year filers) • Beginning tax years after 12-31-2015 (2016 tax years) IRC 6072(b) • Iirc 6072(b)

  12. Form 1120 Due Date Form 1120 Due Dates: • Fifteenth day of fourth month following close of tax year (April 15th for calendar year filers) • Beginning tax years after 12-31-2015 (2016 tax years) • Special rule for years ending on June 30th – no change until after 12-31-2025 IRC 6072(b)

  13. Form 114 (FBAR) Due Date • The due date of FinCEN Report 114 (relating to Report of Foreign Bank and Financial Accounts) shall be April 15 • There is a maximum extension for a 6-month period ending on October 15 • For taxable years beginning after December 31, 2015 PL 114-41 Section 2006(b)(11)

  14. Refundable Child Tax Credit / Foreign Earned Income Exclusion • The Child Tax Credit is not refundable for taxpayers electing to exclude foreign earned income from gross income • This law applies to taxable years beginning after December 31, 2014 IRC 24(d)(5)

  15. Six Year Statute of Limitations: Basis Six year statute of limitations for 25 percent omissions of income on tax assessments expanded to include: • Understatement of gross income by reason of an overstatement of unrecovered cost or other basis is an omission from gross income; • Tax may be assessed at any time within six years after the return was filed • Effective for returns filed after 7/31/15 IRC 6501(e)(1)

  16. Form 1098 Reporting Requirements • Information to be included on Form 1098: • Amount of outstanding principal on the mortgage as of the beginning of such calendar year • Date of the origination of the mortgage • Address (or other description in the case of property without an address) of the property which secures the mortgage • For statements required to be furnished, after December 31, 2016 IRC 6050H(b)(2)

  17. Identity Protection Services • Post-data breach protection services excluded from recipient’s gross income • Does not include cash in lieu of identity protection services • Proceeds received under an identity theft insurance policy are includable income • Identity protection services for reasons other than a data breach are includable in income IRS Announcement 2015-22

  18. Extenders • Individual provisions • Business provisions

  19. Resources • IRS.gov/for-Tax-Pros • IRS.gov/DraftForms • IRS.gov/ACA • HealthCare.gov • IRS.gov/Form8965(for info and links to Form 8965 and its instructions)

  20. Issue 1: Dirty Dozen Tax Scams • Compiled annually • List of common scams / schemes • 2015 “Dirty Dozen” • Press releases over 12 consecutive days • Began on January 22

  21. 2015 Dirty Dozen • Phone Scams (IR-2015-5) • Criminals impersonating IRS agents • Phishing (IR-2015-6) • Fake emails / websites • ID Theft (IR-2015-7) • Fraudulent returns filed using someone else’s SSN

  22. 2015 Dirty Dozen • Return Preparer Fraud (IR-2015-8) • Unscrupulous return preparers • Offshore Tax Avoidance (IR-2015-9) • Hiding money and income offshore • Inflated Refund Claims (IR-2015-12) • Promise of inflated refunds

  23. 2015 Dirty Dozen • Fake Charities (IR-2015-16) • Groups masquerading as charities • Hiding Income With Fake Documents (IR-2015-18) • Falsifying documents to reduce tax or inflate refunds • Abusive Tax Shelters (IR-2015-1)

  24. 2015 Dirty Dozen • Falsifying Income to Claim Credits (IR-2015-20) • Excessive Claims for Fuel Tax Credits (IR2015-21) • Frivolous Tax Arguments(IR-2015-23)

  25. Issue 2: Offshore Compliance Options Options: • Offshore Voluntary Disclosure Program • Streamlined filing compliance procedures • Delinquent FBAR submission procedures • Delinquent international information return submission procedures

  26. FBAR Filing Requirements • Any United States person who: • Has financial interest in, or signature authority over financial accounts in a foreign country • If aggregate value of accounts exceeds $10,000 at any time during calendar year

  27. Offshore Voluntary Disclosure Program • Counterpart to criminal investigations voluntary disclosure practice • Enables noncompliant taxpayers to: • Resolve their tax liabilities • Avoid substantial civil penalties, and • Generally eliminate the risk of criminal prosecution for all issues relating to tax noncompliance and failing to file FBARs

  28. Streamlined Filing Compliance Procedures Available to taxpayers certifying that their failure to report foreign financial assets and pay all tax due with respect to those assets did not result from willful conduct on their part; provides: • Streamlined procedure for filing amended or delinquent returns • Terms for resolving their tax and penalty obligations

  29. OVDP or SFCP? Taxpayers whose failure to report income, pay tax and submit information returns was due to willful conduct should consider OVDP • An OVDP submission disqualifies a person from participating in SFCP • An SFCP submission disqualifies a person from participating in OVDP

  30. Delinquent FBAR Submission Procedures Eligible taxpayers: • Do not need to use OVDP or SCFP • Have not filed a required FBAR (FinCEN Report 114) • Not under civil exam or criminal investigation • Not contacted by IRS about the delinquent FBARs

  31. Delinquent International Information Return Submission Procedures Eligible taxpayers: • Do not need to use OVDP or SFCP • Have not filed required international information returns • Reasonable cause for not filing • Not under civil examination or criminal investigation • Not been contacted by IRS

  32. Issue 3: Trust Fund Recovery Penalty • Trust Fund Taxes • Withheld income and employment taxes; including social security taxes, railroad retirement taxes or collected excise taxes • Trust Fund Penalty • If a business uses those funds for another purpose, § 6672(a) authorizes a penalty equal to 100 percent of the collected tax on any responsible person

  33. Trust Fund Recovery Penalty • TFRP may be assessed against any person • Responsible for collecting or paying withheld income and employment taxes, and • Who willfully fails to collect or pay them • For willfulness to exist, responsible person • Must have (or should have) been aware of outstanding taxes and • Intentionally disregarded the law

  34. Trust Fund Recovery Penalty (Assessment) • FTD Alerts sent to IRS Collections • Case assigned to a revenue officer • RO contacts the employer to schedule an interview(s) • Letter 1153 sent to responsible parties

  35. Trust Fund Recovery Penalty (Appeal) • Small Case Request - total amount of the proposed assessment for each tax period is $25,000 or less • Formal Written Protest - total amount of the proposed assessment for any one tax period is greater than $25,000

  36. Issue 4: New Form 1023-EZ Streamlined Application for Recognition of Exemption Under Section 501(c)(3) of the Internal Revenue Code (Form 1023-EZ) • Three pages (standard version 26 pages) • Filed electronically • User fee = $400 • Most small organizations qualify

  37. Form 1023-EZ (Qualifications) • Organization must be operated exclusively for certain listed purposes • Gross receipts of < $50,000 and assets < $250,000 • Form instructions identify 26 instances which render an organization ineligible to file Form 1023-EZ

  38. Form 1023-EZ (When to File) • Generally, within 27 months after end of the month the organization was legally formed • If accepted, the legal date of the formation is the effective date of exempt status • If not filed within 27 months, the effective date of exempt status is the date of filing

  39. Issue 5: Online Tools for Tax Professionals

  40. Tools for Tax Pros (Categories)

  41. Keeping Current

  42. Preparer Guidelines

  43. Other Tax Pro Links

  44. Issue 6: Directory of Federal Tax Return Preparers • Launched Feb. 5, 2015 • Searchable / sortable listing featuring preparers name, city, state, and zip code • Contains attorneys, CPAs, enrolled agents and those who have completed the requirements for the voluntary IRS Annual Filing Season Program

  45. Searching the Directory

  46. Issue 7: W-2 Verification Code Pilot • One in a series of steps to combat ID theft and tax fraud • Pilot will test capability to verify authenticity of W-2 data filed with federal tax returns in 2016 • IRS will soon name Payroll Service Providers • PSPs will reach out to some clients • Algorithm generates alphanumeric codes from selected data fields of the W-2 • Verification codes appear on employees’ W-2s

  47. W-2 Verification Code Pilot • Taxpayers enter verification codes on their e-filed federal tax returns • When processing returns, IRS recalculates codes • Matching codes = genuine W-2s • Verification codes not included in W-2 data submitted to SSA, states or local departments of revenue • Won’t affect state or local tax returns

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