A CPA has an ethical obligation not to voluntarily discuss a taxpayers taxes without the client's informed consent. This includes voluntary meetings with special agents investigating possible tax crimes.
Archives 2016
Taxpayer pleaded guilty to receiving illegal refunds was sentenced to 33 months to run consecutively to state sentence.
In a bankruptcy fraud case the government sought to introduce evidence of a prior conviction for willful failure to pay child support. The Defendant objected. The Government argued that it was a specific intent crime equivalent to willful failure to pay tax under section 7203. The Court disagreed.
Taxpayer Convicted Received a Sentencing Enhancement For Being an Organizer
Written by on in Tax Fraud Report.
Defendant appealed a 4 level enhancement for being an organizer and a 2 level enhancement for obstruction during the civil audit. The Court upheld the sentence enhancements. One member of the Court of Appeals dissented.
Taxpayer was charged with tax evasion pursuant to 7201. The Court found that the statute of limitations began to run when the last element of the offense took place. The motion to dismiss was granted.
IRS Issued Summons to Try to Determine Whether Taxpayer Was Resident
Written by on in Tax Fraud Report.
Frank Gangi resided in the U.S. Virgin Islands. The IRS issued summons to investigate whether Gangi was required to pay income taxes. Taxpayer moved to quash the summons. The motion was denied.
Search Warrant for Drugs Led to Seizure of Evidence of Tax Violations
Written by on in Tax Fraud Report.
Defendants were charged with tax violations based upon evidence seized during the execution of a search warrant issued for drugs.
The United States sought to recover over $3 million of funds that were transferred at a time in which the taxpayer company owed taxes.
Taxpayer's Daughter's Received Funds from Taxpayer's which IRS sought to Recover
Written by on in Tax Fraud Report.
Children of taxpayers objected to partial summary judgment sought by the IRS relating to property transferred from the taxpayers to their children at a time when the taxpayers owed taxes.
Defendant's Right to be Present at Trial Did Not Include Jury Instruction Conferences
Written by on in Tax Fraud Report.
Taxpayer was represented by counsel at the jury charge conference. The Court found that Defendant did not need to be present.