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IRS Failure to Communicate Does not Violate IRC § 7605(b)

No taxpayer shall be subjected to unnecessary examination or investigations, and only one inspection of a taxpayer’s books of account shall be made for each taxable year unless the taxpayer requests otherwise or unless the Secretary, after investigation, notifies the taxpayer in writing that an additional inspection is necessary.[1] If a taxpayer’s books and records are inspected while in the hands of his accountant or attorney, the taxpayer can object to a second inspection.[2] An

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IRS Failure to Communicate Does not Violate IRC § 7605(b)

No taxpayer shall be subjected to unnecessary examination or investigations, and only one inspection of a taxpayer’s books of account shall be made for each taxable year unless the taxpayer requests otherwise or unless the Secretary, after investigation, notifies the taxpayer in writing that an additional inspection is necessary.[1] If

Read More »