Registration of Tax Preparers

AICPA Comments on IRS Proposed Regulations Related to Professional Tax Practice and Regulations of Tax Return
The American Institute of Certified Public Accountants has supposing comments to a Internal Revenue Service on Proposed amendments to Circular 230 about issues associated to veteran taxation use and law of taxation lapse preparers. Circular 230 outlines a manners ruling use before a IRS. The AICPA reiterated prior comments propelling a IRS to free non-signing preparers from due contrast and stability preparation mandate and again urged a IRS to check doing of an exam.
AICPA Tells IRS Changes Needed to Proposed Regulations To Regulate Tax Preparers and Practice before a IRS
On Oct 8, 2010, a American Institute of Certified Public Accountants laid out changes it believes a Internal Revenue Service should make to due regulations that would umpire taxation lapse preparers and rectify manners ruling use before a IRS.

“We strongly titillate a IRS to free staff of CPA firms who ready taxation earnings underneath a organisation of protected CPAs from a due contrast and stability preparation requirements,”  Edward Karl, AICPA clamp boss of taxation, pronounced in testimony during an IRS hearing.   “Nonetheless, we are speedy by a IRS open matter that they are deliberation exempting employees of certain veteran firms from a contrast and stability preparation requirements,” Karl continued.  He singled out tyro interns for special discussion.

Statement by Edward Karl, AICPA Vice President of Taxation on Aug 24, 2010, during IRS Hearing on PTIN User Fees
Edward Karl, AICPA Vice President of Taxation on Aug 24, 2010, during IRS Hearing per REG-139343-08, User Fees relating to Enrollment and Preparer Tax Identification Numbers.
AICPA Comments filed during IRS Hearing on Aug 24, 2010, on PTIN User Fees
The AICPA filed comments on Aug 23, 2010, per REG-139343-08, User Fees relating to Enrollment and Preparer Tax Identification Numbers.
AICPA Comments on Preparer Tax Identification Number (PTIN) Regulations
Published May 10, 2010
Comment Letter : The AICPA submitted comments on April 26, 2010 on REG-134235-08, a IRS due regulations that need taxation lapse preparers, including non-signing preparers, to request for or replenish a preparer taxation marker series (PTIN) for use commencement with a 2011 filing season. Among other recommendations, we urged a Service to free a non-signing employees of a CPA organisation from any requirement to request for a PTIN.  As partial of a introduction to a AICPA’s comments, we re-emphasized a concerns about a IRS skeleton to yield taxation lapse preparers who are not already CPAs, enrolled agents or attorneys with an apparent credential formed on singular qualifications.
AICPA Letter on Commissioner Shulman Meeting on Preparer Registration
The AICPA sent a minute (dated Apr 12, 2010) to Commissioner Douglas H. Shulman thanking him for assembly with a Institute on Mar 24, 2010 to plead a Service’s taxation lapse preparer registration module and other taxation administration initiatives.  In lifting 3 poignant concerns that a AICPA has with a hearing aspect of a preparer registration program, we suggested that doing of a contrast routine be behind until a formula of a other proposals can be evaluated.
AICPA Answers Questions for IRS Review of Tax Return Preparers 
Published Sep 01, 2009
The AICPA submitted answers to questions from a IRS on Notice 2009-60, relating to a agency’s examination of taxation lapse preparers. The IRS’s questions solicited information from taxation practitioners about a stream slip sourroundings of preparers, several options for improving a monitoring of preparers, probable preparation and training discipline for preparers, and reliable standards
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About Emil Estafanous, CPA
Certified Public Accountant (CPA) Tax Professional committed in representing taxpayers and resolving their tax problems.

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