2018 IRS WHISTLEBLOWER ANNUAL REPORT

2018 IRS WHISTLEBLOWER ANNUAL REPORT

The take away is while the IRS whistleblower program had a good year, there is much more to be accomplished by the IRS to the implement the 12 year old Whistleblower Program.  Changes must occur either voluntarily by the IRS in the administration of the IRS Whistleblower program, or statutorily by Congress enacting additional changes to the law (similar to the 2018 change) so that the intent of Congress is recognized by the IRS.

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IRS Whistleblower Program - IRS, Revisit the 2-Year Waiting Period!!

The IRS should be encouraging whistleblowers to come forward and promote the program by shortening the waiting time for a whistleblower to receive an award.  Therefore, the IRS should reassess the necessity of certain rules (i.e., the two-year waiting period) and/or should modified existing practice (i.e., paying interest and offering all taxpayers a closing agreement).  Alternatively, the IRS should outright eliminate the two-year waiting period if they determine history shows taxpayers in whistleblower claims have not been successfully filing claims for refunds as to the whistleblower’s issue.

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