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The National Taxpayer Advocate’s Annual Report to Congress identifies taxpayers’ problems and provides suggestions to further protect taxpayer rights and ease taxpayer burden.

Report Contents

2024 Annual Report to Congress

Preface

  1. Introductory Remarks by the National Taxpayer Advocate
  2. Taxpayer Rights and Service Assessment: IRS Performance Measures and Data Relating to Taxpayer Rights and Service

The Most Serious Problems Encountered by Taxpayers

Introduction

  1. EMPLOYEE RETENTION CREDIT: The IRS’s Processing Delays Are Resulting in Uncertainty and Are Harming and Frustrating Business Owners
  2. RETURN PROCESSING: Continuing Delays in IRS Return Processing Are Frustrating Taxpayers and Causing Refund Delays
  3. IDENTITY THEFT: Processing and Refund Delays Are Harming Victims of Tax-Related Identity Theft
  4. IRS SERVICE: Taxpayer Service Is Often Not Timely or Adequate
  5. TAX-RELATED SCAMS: More Taxpayers Are Falling Victim to Tax-Related Scams
  6. HIRING: The IRS’s Continuing Challenges in Employee Recruitment, Hiring, Training, and Retention Are Hindering Its Ability to Achieve Transformational Change in Customer Service and Tax Administration
  7. INDIVIDUAL TAXPAYER IDENTIFICATION NUMBER PROCESSING: IRS Dependence on Paper Forms and Manual Document Review Is Causing Delays, Mistakes, and Potential Security Risks
  8. TAX AND FINANCIAL LITERACY: Limited Tax and Financial Knowledge Is Causing Serious Consequences for Taxpayers
  9. CIVIL PENALTY ADMINISTRATION: The IRS’s Administration of Penalties Is Often Unfair, Is Inconsistently Deterring Improper Behavior, Is Not Promoting Efficient Administration, and Thus Is Discouraging Voluntary Compliance
  10. CRIMINAL VOLUNTARY DISCLOSURE: Changes to the IRS’s Criminal Voluntary Disclosure Practice Requirements May Be Reducing Voluntary Compliance and Negatively Impacting the Tax Gap

Most Litigated Issues

TAS Advocacy

TAS Case Advocacy
TAS Systemic Advocacy
Taxpayer Advocate Directives

TAS Research Reports

Some Legitimate Taxpayers Did Not Receive a Tax Year 2020 Refund Because They Did Not Respond to an IRS Letter Requesting Identity Verification
Improving IRS Telephone Service: A Review of Best Practice Processes and Measures Used By Large Government and Private Sector Call Centers
IRS Processing of Individual Taxpayer Identification Numbers

Appendices

Appendix 1: TAS Directory
Appendix 2: Data Compilation and Validation
Appendix 3: Glossary of Acronyms
Online only: ARC Recommendations Tracker
Online only: Fiscal Year 2024 Objectives Report to Congress: Objectives Status Update

INTRODUCTION

STRENGTHEN TAXPAYER RIGHTS

  1. Elevate the Importance of the Taxpayer Bill of Rights by Redesignating It as Section 1 of the Internal Revenue Code
  2. Require the IRS to Timely Process Claims for Credit or Refund

IMPROVE THE FILING PROCESS

  1. Treat Electronically Submitted Tax Payments and Documents as Timely If Submitted on or Before the Applicable Deadline
  2. Authorize the IRS to Establish Minimum Competency Standards for Federal Tax Return Preparers and Revoke the Identification Numbers of Sanctioned Preparers
  3. Extend the Time for Small Businesses to Make Subchapter S Elections
  4. Adjust Individual Estimated Tax Payment Deadlines to Occur Quarterly
  5. Eliminate Duplicative Reporting Requirements Imposed by the Bank Secrecy Act and the Foreign Account Tax Compliance Act
  6. Authorize the Use of Volunteer Income Tax Assistance Grant Funding to Assist Taxpayers With Applications for Individual Taxpayer Identification Numbers

IMPROVE ASSESSMENT AND COLLECTION PROCEDURES

  1. Require That Math Error Notices Describe the Reason(s) for the Adjustment With Specificity, Inform Taxpayers They May Request Abatement Within 60 Days, and Be Mailed by Certified or Registered Mail
  2. Continue to Limit the IRS’s Use of “Math Error Authority” to Clear-Cut Categories Specified by Statute
  3. Require Independent Managerial Review and Written Approval Before the IRS May Assert Multiyear Bans Barring Taxpayers From Receiving Certain Tax Credits and Clarify That the Tax Court Has Jurisdiction to Review the Assertion of Multiyear Bans
  4. Give Taxpayers Abroad Additional Time to Request Abatement of a Math Error Assessment
  5. Give Taxpayers Abroad Additional Time to Request a Collection Due Process Hearing and to File a Petition Challenging a Notice of Determination in the Tax Court
  6. Provide That Assessable Penalties Are Subject to Deficiency Procedures
  7. Direct the IRS to Implement an Automated Formula to Identify Taxpayers at Risk of Economic Hardship
  8. Provide That “an Opportunity to Dispute” an IRS-Determined Tax Liability in a Collection Due Process Hearing Includes an Opportunity to Dispute Such Liability in the U.S. Tax Court
  9. Prohibit the IRS from Withholding the Earned Income Tax Credit (EITC) Portion of a Taxpayer’s Refund to Satisfy Federal Tax Liabilities
  10. Eliminate Installment Agreement User Fees for Low-Income Taxpayers and Those Paying by Direct Debit
  11. Improve Offer in Compromise Program Accessibility by Repealing the Upfront Payment Requirements
  12. Require the IRS to Consider a Taxpayer’s Current Income When Determining Whether to Waive an Installment Agreement User Fee
  13. Modify the Requirement That the Office of Chief Counsel Review Certain Offers in Compromise
  14. Require the IRS to Mail Notices at Least Quarterly to Taxpayers With Delinquent Tax Liabilities
  15. Clarify When the Two-Year Period for Requesting Return of Levy Proceeds Begins
  16. Protect Retirement Funds From IRS Levies, Including So-Called “Voluntary” Levies, Absent Flagrant Conduct by a Taxpayer
  17. Provide Taxpayer Protections Before the IRS Recommends the Filing of a Lien Foreclosure Suit on a Principal Residence
  18. Provide Collection Due Process Rights to Third Parties Holding Legal Title to Property Subject to IRS Collection Actions
  19. Extend the Time Limit for Taxpayers to Sue for Damages for Improper Collection Actions
  20. Revise the Private Debt Collection Rules to More Accurately Identify and Protect Taxpayers With Incomes Below 200 Percent of the Federal Poverty Level

REFORM PENALTY AND INTEREST PROVISIONS

  1. Convert the Estimated Tax Penalty Into an Interest Provision to Properly Reflect Its Substance
  2. Apply a Single Interest Rate to Underpayments of Estimated Tax in the Periods Between Each Installment Due Date
  3. Extend the Reasonable Cause Defense for the Failure-to-File Penalty to Taxpayers Who Rely on Return Preparers to E-File Their Returns
  4. Authorize a Penalty for Tax Return Preparers Who Engage in Fraud or Misconduct by Altering a Taxpayer’s Tax Return
  5. Clarify That Supervisory Approval Is Required Under IRC § 6751(b) Before Proposing Penalties
  6. Require an Employee to Determine and a Supervisor to Approve All Negligence Penalties Under IRC § 6662(b)(1)
  7. Modify the Definition of “Willful” for Purposes of Determining Report of Foreign Bank and Financial Accounts Violations and Reduce the Maximum Penalty Amounts

STRENGTHEN TAXPAYER RIGHTS BEFORE THE OFFICE OF APPEALS

  1. Require Taxpayers’ Consent Before Allowing IRS Counsel or Compliance Personnel to Participate in Appeals Conferences

STRENGTHEN THE OFFICE OF THE TAXPAYER ADVOCATE

  1. Clarify That the National Taxpayer Advocate May Hire Legal Counsel to Enable Her to Advocate More Effectively for Taxpayers
  2. Clarify the Authority of the National Taxpayer Advocate to Make Personnel Decisions to Protect the Independence of the Office of the Taxpayer Advocate
  3. Clarify the Taxpayer Advocate Service’s Access to Files, Meetings, and Other Information
  4. Authorize the National Taxpayer Advocate to File Amicus Briefs
  5. Authorize the Office of the Taxpayer Advocate to Assist Certain Taxpayers Experiencing Economic Hardships During a Lapse in Appropriations
  6. Repeal Statute Suspension Under IRC § 7811(d) for Taxpayers Seeking Assistance From the Taxpayer Advocate Service

STRENGTHEN TAXPAYER RIGHTS IN JUDICIAL PROCEEDINGS

  1. Expand the U.S. Tax Court’s Jurisdiction to Hear Refund Cases
  2. Authorize the U.S. Tax Court to Order Refunds or Credits in Collection Due Process Proceedings Where Liability Is at Issue
  3. Promote Consistency With the Supreme Court’s Boechler Decision by Making the Time Limits for Bringing All Tax Litigation Subject to Equitable Judicial Doctrines
  4. Extend the Deadline for Taxpayers to File a Refund Suit When They Request Appeals Reconsideration of a Notice of Claim Disallowance But the IRS Has Not Timely Decided Their Claim
  5. Authorize the Tax Court to Sign Subpoenas for the Production of Records Held by a Third Party Prior to a Scheduled Hearing
  6. Provide That the Scope of Judicial Review of “Innocent Spouse” Determinations Under IRC § 6015 Is De Novo
  7. Clarify That Taxpayers May Raise Innocent Spouse Relief as a Defense in Collection, Bankruptcy, and Refund Cases
  8. Fix the Donut Hole in the Tax Court’s Jurisdiction to Determine Overpayments by Non-Filers With Filing Extensions

MISCELLANEOUS RECOMMENDATIONS

  1. Restructure the Earned Income Tax Credit (EITC) to Make It Simpler for Taxpayers and Reduce Improper Payments
  2. Adopt a Consistent and More Modern Definition of “Qualifying Child” Throughout the Internal Revenue Code
  3. Permanently Give Taxpayers Affected by Federally Declared Disasters the Option of Using Prior Year Earned Income to Claim the Earned Income Tax Credit (EITC)
  4. Allow the Limitation on Theft Loss Deductions in the Tax Cuts and Jobs Act to Expire So Scam Victims Are Not Taxed on Amounts Stolen From Them
  5. Amend the Lookback Period for Allowing Tax Credits or Refunds to Include the Period of Any Postponement or Additional or Disregarded Time for Timely Filing a Tax Return
  6. Protect Taxpayers in Federally Declared Disaster Areas Who Receive Filing and Payment Relief From Inaccurate and Confusing Collection Notices
  7. Allow Taxpayers in Limited Circumstances to Claim the Child Tax Credit With Respect to Children Who Do Not Have Social Security Numbers But Otherwise Qualify for the Credit
  8. Clarify Whether Dependents Are Required to Have Taxpayer Identification Numbers for Purposes of the Credit for Other Dependents
  9. Allow Members of Certain Religious Sects That Do Not Participate in Social Security and Medicare to Obtain Employment Tax Refunds
  10. Remove the Requirement That Written Receipts Acknowledging Charitable Contributions Must Be “Contemporaneous”
  11. Establish a Uniform Standard Mileage Deduction Rate for All Purposes
  12. Eliminate the Marriage Penalty for Nonresident Aliens Who Otherwise Qualify for the Premium Tax Credit
  13. Encourage and Authorize Independent Contractors and Service Recipients to Enter Into Voluntary Withholding Agreements
  14. Require the IRS to Specify the Information Needed in Third-Party Contact Notices
  15. Enable the Low Income Taxpayer Clinic Program to Assist More Taxpayers in Controversies With the IRS
  16. Compensate Taxpayers for “No-Change” National Research Program Audits
  17. Improve Tax and Financial Literacy by Promoting Interagency Collaboration and Modernizing the Requirement That the IRS Publish Graphics Summarizing Government Revenue and Spending
  18. Establish the Position of IRS Historian Within the Internal Revenue Service to Record and Publish Its History
  19. Postpone Tax Deadlines for Hostages and Individuals Wrongly Detained Abroad

Appendix 1: Additional Reference Materials for Legislative Recommendations in This Volume

Appendix 2: Prior National Taxpayer Advocate Legislative Recommendations Enacted Into Law