Tax Section

Tax Section E-Alert

  www.aicpa.org/tax 

January 29, 2010

 

TAX NEWS YOU CAN USE —

 

IRS Commissioner Shulman Proposes Requiring Many Companies to Disclose Uncertain Tax Positions on their Annual Tax Returns

IRS Proposal to Disclose Uncertain Tax Positions in Tax Returns
On Tuesday, January 26, 2010, the IRS announced a proposal that, if effective, would require many companies to disclose uncertain tax positions in their annual income tax return filings. IRS Commissioner Douglas Shulman made the announcement during remarks to the New York State Bar Association Tax Section, and indicated that this is a major step in the move towards increased transparency.

This proposal is the next step in the continuing saga between taxpayers and the IRS regarding tax accrual work papers.

As proposed, the requirement would apply to business taxpayers who have both:

a financial statement prepared under FASB Interpretation No. 48, Accounting for Uncertainty in Income Taxes (FIN 48, now contained within FASB Accounting Standards Codification (ASC) 740-10, Income Taxes) or other similar accounting standards reflecting uncertain tax positions (such as International Financial Reporting Standards (IFRS) or country-specific generally accepted accounting standards), and

total assets over $10 million.

A schedule or form would be included in applicable business tax returns annually. Each uncertain tax position would require a concise description to determine the nature of the particular issue and would require the taxpayer to determine the maximum amount of potential federal tax liability attributable to each uncertain tax position. The IRS is evaluating additional options for penalties or sanctions for lack of adequate disclosure.

Commissioner Shulman indicated that this proposal was intended to improve the efficiency and effectiveness of tax examinations and that he understands this is information that taxpayers have already prepared for financial reporting purposes. He stressed that taxpayers would not be required to disclose how strong or weak they regarded their tax positions.

 

Tax Section

This is not yet effective in its current form, and per Commissioner Shulman is not applicable to the 2009 filing season. However, it is presumed that the IRS intends to push this proposal forward quickly so taxpayers and practitioners will need to stay tuned for further developments. The IRS has invited comments on the proposal by March 29, 2010.

The application and associated understanding of FIN 48 is still fairly new to many accountants. FIN 48 was generally effective for public companies for fiscal years beginning after December 15, 2006. However, the effective date for private companies was deferred, and these companies are starting to see its application in their financial statements for annual financial statements for periods beginning after December 15, 2008. Therefore, many AICPA members may have been seeing and experiencing the application of FIN 48 to financial statements for the first time within the past year – either as an audit or tax practitioner in public accounting, or in an accounting or tax function of a private company.

This proposal also has many implications and will generate much debate. The AICPA understands that this proposal will have a significant effect on our members if it becomes effective as initially proposed by the IRS and we are considering an appropriate response on behalf of our membership.

Tax Section Member Service Contact Information Members can update their records and ask questions about Tax Section member benefits at 800-513-3037 or taxsection@aicpa.org.

Disclaimer: This e-mail represents a general overview of tax developments and should not be relied upon without an independent, professional analysis of how any of these provisions may apply to a specific situation. Any tax information contained in the body of this e-mail was not intended or written to be used, and cannot be used, by the recipient for the purpose of avoiding penalties that may be imposed under the Internal Revenue Code or applicable state or local tax law provisions.

Tax Section E-Alert, Vol. 7, No. 3, January 29, 2010. Prepared by the staff of the Tax Division of the American Institute of Certified Public Accountants, Inc. and edited by William R. Stromsem, Director and Abraham Schneier, Senior Manager. Editorial offices at 1455 Pennsylvania Avenue, NW, Washington, DC 20004-1081. Copyright © 2010 by the American Institute of Certified Public Accountants, Inc., New York, New York.