By Thomas M Porcano
This identify is a part of a chain facing all features of taxation, together with tax coverage and concerns on the federal, country, neighborhood, or foreign point. The sequence basically publishes empirical reports that tackle compliance, desktop utilization, schooling, felony, making plans, or coverage concerns.
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Extra info for Advances in Taxation, Volume 14
Caution that not all "tax services" qualify as tax advice . For example, tax return preparation is not legal advice, and not covered by the Privilege, even if an attorney prepares the return . This is a very important point because the scope of IRC Section 7525 extends only to communications that would have been protected by the attorney client privilege, had an attorney sent or received the communications . The recent Pomerantz case illustrates well the subtlety of the scope of the attorney client privilege .
K . (1994) . The Earned Income Tax Credit : Participation, Compliance, and Anti-poverty Effectiveness . National Tax Journal, 47(March), 63-87 . Slemrod, J. (1990) . Notes on the 1979-1986 panel of individual income tax returns . Mimeo (July 18) . S . General Accounting Office (GAO) . (1993) . Earned Income Tax Credit : Design and Administration Could Be Improved . C . S . Internal Revenue Service (IRS) . (1975-1996) . Statistics of Income, Individual Income Tax Returns. C . : Government Printing Office.
O h S d 0 . rn O' P~ a C o o m a 35 THE EXPANDED TAXPAYER CONFIDENTIALITY PRIVILEGE : A REVIEW AND ASSESSMENT OF IRC SECTION 7525 Christine C . Bauman and Anna C . Fowler ABSTRACT For taxpayer communications made after July 21, 1998, IRC Section 7525 extends a confidentiality privilege to tax advice furnished in non-criminal proceedings by certified public accountants and other federally authorized tax practitioners to the extent such communication would be privileged if it took place between a taxpayer and an attorney .
Advances in Taxation, Volume 14 by Thomas M Porcano