The Layered Approach There is a maxim in forensic accounting that investigations take twice as long as anticipated, yet the final report appears to have taken half the time. This article provides an overview of the forensic methodology to balance client expectations with the appropriate level of service. Each progressive layer allows for the milestones reached to be evaluated before expanding the scope. This article will also assist the forensic practitioner in communicating the costs of continuing the analysis against the anticipated benefits. There is a maxim in forensic accounting that investigations take twice as long as anticipated, yet the…
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Mike Gregory Discusses the Newly Released Five in One Book on Business Valuations and the IRS In this article, Michael Gregory provides some thoughts of how the official IRS rules of engagement are different from the unofficial rules of engagement and introduces how to work with the IRS. The 38 examples in the book provides additional insight. Mike Gregory recommends the book to all business valuation firms that have a library and those that prepare reports for federal tax purposes. Parts One and Two of the book discuss the IRS structure, process, and how to resolve conflicts with the IRS;…
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The statute of limitation defines the time within which the IRS may initiate an audit of a tax return. According to Sec. 6501(a), the statute of limitation for income tax returns is three years from the filing date of the return or the due date if the return is filed early. Marilyn Young discusses the issue. To read the full article in The Tax Adviser, click: The Statute of Limitation for Net Operating Losses.
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More widespread use of videoconferencing could ease burdens on taxpayers who must meet in person with Internal Revenue Service Appeals personnel, but stringent privacy rules limit its use. Joseph Brophy, CPA, ABV, explores what it would take to expand this service. To read the full article in The Tax Adviser, click: Will Your Next Tax Appeal be a Videoconference?