Discuss the ethics requirements for tax practitioners. Please discuss both the AICPA Statements of Standards for Tax Practice AND IRS Circular 230. How do ethics requirements differ for tax practice as compared to audit practice? Compare and contrast these.
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- Please choose one of the duties of a tax professional practicing before the IRS, discussed in the Treasury Department Circular 230 and: Describe the concepts and objectives of the duty. Discuss how a tax professional needs to conduct themselves in order to comply with the responsibility. Explain what kind of challenges and pressure an accountant could face in complying with the responsibility.The AICPA has issued standards for CPAs in tax practice, called Statements on Standards for Tax Services (SSTS). Download the Statement on Standards for Tax Services No. 1-7Links to an external site.. What does the SSTS say about a CPA relying on information supplied by the client (see SSTS #3)? Are estimates ever permitted to be used in preparing a tax return (see SSTS #4)?Which of the following is a compliance tool the IRS utilizes to address the tax gap? Compliance checks. Correspondence examinations. Discovery services. Processing and investigating unsolicited amended returns.
- Indicate whether the following statements are "True" or "False" regarding AICPA Statements on Standards for Tax Services. a. The Statements are enforceable standards of professional practice for AICPA members working in state or Federal tax practice. b. In preparing a return, a CPA must verify information furnished by the client or by third parties. c. A CPA should make a reasonable effort to obtain from the client, and provide, appropriate answers to all questions on a tax return before signing as preparer. d. The CPA should not take a questionable position based on the probabilities that the client's return will not be chosen by the IRS for audit. e. A CPA may prepare a tax return using estimates received from a taxpayer if it is impracticable to obtain exact data.Statements of procedures that affect the rights and obligations of taxpayers or the public in general with respect to the application of the tax laws or tax information which should be a matter of public knowledge are released as: a. Revenue Rulings b. Technical Advice Memoranda c. Private Letter Rulings d. None of the aboveAn official IRS statement issued by the National Office that provides an interpreation of how the tax law applies to a hypothetical fact scenario is: A. Revenue Ruling B. Field Service Advice C. Private Letter Ruling D. Technical Advice Memorandum
- All tax practitioners who prepare tax returns for a fee are subject to whichof the following?I. IRS Circular 230 II. AICPA Code of Professional Conduct III. Statements on Standards for Tax Services IV. American Bar Association Code of Professional Conduct Only statement I is correct.Statements I, II, and III are correct.Statements II and III are correct. Statements II and IV are correct. Statements I, II, III, and IV are correct.Aside from professional audits of income tax returns, who does the separate non-tax audit program audit?Is it the auditors’ responsibility to verify that the client meets tax-exempt status?
- Indicate whether the following statements are "True" or "False" regarding letter rulings. a. Letter rulings have the force and effect of law and provide guidance and support for taxpayers in similar transactions. b. A letter ruling represents the current opinion of the IRS on the tax consequences of a transaction with a given set of facts. c. Letter rulings not only help promote a uniform application of the tax laws but also may reduce the potential for litigation or disputes with IRS agentWhich of the following may be relied on and cited as authority for a tax position taken on a client's return? A. A section from the Form 1120 instructions B. Revenue Ruling C. A section from the CCH Master Tax GuideCPAs act as, among other things, paid tax return preparers for their clients. What does SSTS No. 1 have to say, or what does it imply, as to who has the final responsibility for the contents of a tax return, the CPA or the client?