![Tax Return Preparer Penalties Under Sections 6694 and 6695](/assets/artwork/1x1-42817eea7ade52607a760cbee00d1495.gif)
![Tax Return Preparer Penalties Under Sections 6694 and 6695](/assets/artwork/1x1-42817eea7ade52607a760cbee00d1495.gif)
![](/assets/artwork/1x1-42817eea7ade52607a760cbee00d1495.gif)
![](/assets/artwork/1x1-42817eea7ade52607a760cbee00d1495.gif)
Tax Return Preparer Penalties Under Sections 6694 and 6695
Tax Executive 2008, Fall, 60, 5
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- 2,99 €
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- 2,99 €
Beschreibung des Verlags
A New Challenge In December 2006, Congress amended section 7623 of the Internal Revenue Code to establish the IRS Whistleblower Office and set forth new procedures for the granting of rewards to individuals whose whistleblowing activities lead to the collection of additional tax. Based on current press reports, since the legislation was enacted, the IRS Whistleblower Office has received claims seeking rewards based on more than $10 billion in taxes, with many of the claims reportedly involving Fortune 500 companies.
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