Final Regulations Clarify Section 1031 Like-Kind Exchanges

Final Regulations Clarify Section 1031 Like-Kind Exchanges

The Internal Revenue Service and the Treasury Department have issued their final regulations on section 1031 like-kind exchanges. The regulations clarify the definition of real property under section 1031, while providing a rule governing the receipt of personal property incidental to real property in a like-kind exchange.

TCJA Limits Focus of Like-Kind Exchange

Legislation passed into law in 2017 as part of the Tax Cuts and Jobs Act (TCJA) limited like-kind exchange treatment to exchanges of real property.

As of Jan. 1, 2018, exchanges of personal or intangible property — such as vehicles, artwork, collectibles, patents, and other intellectual property — generally do not qualify for the same treatment of gain as do like-kind exchanges.

In addition, like-kind exchange treatment applies only to exchanges of real property held for use in a trade or business or for investment. An exchange of real property held primarily for sale doesn’t qualify as a like-kind exchange.

Under the final regulations, “real property” includes land and generally anything built on or attached to the land. As a rule, real property also includes property considered real property under state or local law.

Certain intangible property, such as leaseholds or easements, also qualifies as real property under section 1031.

It should be noted that property that wasn’t eligible for like-kind exchange treatment before the TCJA was passed remains ineligible. Neither the TCJA nor the final regulations change whether those properties are of like kind.

Reporting an Exchange

To report a like-kind exchange, taxpayers file a Form 8824, Like-Kind Exchange. The form should accompany the filer’s tax return for the year property was transferred as part of a like-kind exchange.

The Form 8824 helps taxpayers figure the amount of gain deferred as a result of the like-kind exchange, as well as the basis of the like-kind property received.

The form also helps taxpayers calculate the amount of gain they must report if cash or property that is not of a like-kind is involved in the exchange.

For more information about like-kind exchanges and other tax reform changes, visit IRS.gov/TaxReform.

SourceIR-2020-262

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IRS Teams with Research Firm to Smooth Procurement Process

IRS Teams with Research Firm to Smooth Procurement Process

The Internal Revenue Service is pairing up with a Virginia research firm in an effort to improve the agency’s procurement operations.

Data and Analytic Solutions of Fairfax, Va., will team up with the IRS and a group of academic researchers with a shared goal of using data science to better understand and streamline the procurement process—the process the government uses to purchase goods and services from outside vendors.

Time for a team approach?

The effort will bring together a multi-disciplinary team made up of procurement practitioners, university professors and students with procurement and machine learning experience. Machine learning is a form of artificial intelligence that makes computers more accurate at predicting outcomes without being specifically programmed.

“As with many agencies, we have a wealth of data available to us to understand where time is being spent in our contracting process,” said Shanna Webbers, IRS Chief Procurement Officer. “The intent of this research project is to enable us to hone in on key factors impacting our time to award and identify tools that can be utilized to make process improvements to shorten our lead time, more effectively allocate our human resources, and better serve our customers.”

Time is money!

One topic on the top of the researchers’ list is the length of time it takes to award a government contract.

New regulations have standardized the lead time needed to finalize a new contract procurement, resulting in the largest-ever set of data on timeframes for federal contract awards. Researchers plan to use this information to examine nearly a half-million contracts as they look for ways to improve the overall process.

The overall goal is to find the right process so that federal agencies can buy the mission-critical goods and services it needs at roughly the same speed as private industry.

The main intent of the research is to better understand key factors that impact the time it takes to award contracts and how to execute contracts more efficiently.

In addition, the team will also try to improve the accuracy of an algorithm that predicts when individual procurement requests will become signed contracts.

The partnership also plans to train the officials tasked with processing and executing contracts on the best practices of the process. Also in the works: a talent-hiring “pipeline” that can provide a steady stream of contact and resume information on acquisition professionals with data expertise.

Source: IR-2020-261

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IRS Advisory Council Issues 2020 Annual Report

IRS Advisory Council Issues 2020 Annual Report

The Internal Revenue Service Advisory Council, also known as IRSAC, has come out with its annual report for 2020. The 195-page report includes recommendations to the IRS on new and continuing issues in tax administration.

The 34-member panel is a federal advisory committee that provides an organized public forum for discussion of relevant tax administration issues between IRS officials and representatives of the public.

IRSAC members offer constructive observations on current or proposed IRS policies, procedures, and programs.

The IRS has a lot on their plate.

The Public Report for 2020 has recommendations on some 26 issues, covering a broad range of topics, including:

  • Funding of the IRS
  • The Taxpayer First Act
  • Expansion of e-File
  • Proposal for an early exam program for Large Business
  • Telephone response times for the Practitioner Priority Service
  • Resources for Native American taxpayers and federally recognized tribes
  • Taxpayer Digital Communications

The first item on the list isn’t new: Adequate and sustained funding for the operations of the IRS has been the most important issue on the last four annual reports from the committee. This year’s report credits the Taxpayer First Act (TFA) of 2019 with addressing this need, although more reliable means of guaranteeing adequate funding is needed.

The IRSAC report says there is a consensus that return on investment in the IRS would yield much more in dollars than what is invested in operational improvements. Despite this, however, the IRS annual budget continues to shrink.

“Overall funding for the IRS has decreased roughly 20 percent on an inflation-adjusted basis since FY 2010 including the effects of across-the-board rescissions and reductions required by sequestration and other adjustments,” the report states. “Adjusting for inflation, the IRS’s $12.1 billion budget in FY 2010 would equal $14.3 billion in 2020, nearly $3 billion higher than the enacted budget of $11.5 billion for FY 2020. With the exception of FY 2016 and FY 2020, appropriations to the IRS have consistently been less than the previous year over the past decade.”

The committee also found that, on top of inadequate funding, inconsistent timing and uncertainty generated by Congress have only degraded the IRS’ operational capabilities.

The agency generates more than $3 trillion in tax revenue and funds some 80% of federal government; the committee found these problems need to be remedied before the IRS can expect to fulfill its mission completely.

The IRSAC is administered under the Federal Advisory Committee Act by the Office of National Public Liaison, part of IRS Communications and Liaison. The panel draws its members from the taxpaying public, the tax professional community, representatives of the low-income community, small and large businesses, tax-exempt and government entities, the payroll industry, and academia.

IRSAC is comprised of four subgroups aligned to the IRS operating divisions: Large Business & International, Small Business/Self-Employed, Tax Exempt/Government Entities and Wage & Investment.

Source: IR-2020-258

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National Tax Security Awareness Week to Focus on Identity Theft Prevention

National Tax Security Awareness Week to Focus on Identity Theft Prevention

IRS says National Tax Security Awareness Week tips can help you avoid identity theft.

Tax professionals across the country are preparing for next filing season by training seasonal staff, reviewing software updates, and earning CPE. While those annual rituals are required for success in January, the Internal Revenue Service and its Security Summit partners use their annual National Tax Security Awareness Week event to stress that data security is an equally important part of pre-season planning.

Since 2016, National Tax Security Awareness Week has been used to highlight data security best practices. This year, the IRS says the event will be held from November 30 to December 4, and it will include tips for avoiding identity theft tax refund fraud. IRS Commissioner Chuck Rettig provided two reasons for the slight shift in focus:  

  • More Americans are using telework to avoid exposure to COVID-19.
  • The agency anticipates a holiday spike in COVID-related phishing scams.  

Traditionally focusing on a different security topic on each day of the event, the IRS press release included the following preview for this year’s National Tax Security Awareness Week:

  • Day 1: Cyber Monday: Protect personal and financial information online
  • Day 2: Use multi-factor authentication
  • Day 3: Get an Identity Protection PIN
  • Day 4: Businesses at risk for identity theft
  • Day 5: Tax professionals should review their safeguards

While the first three days will focus on specific actions that individuals can take to protect their data, the end of the week covers business- and tax professional-specific recommendations.

In addition to press releases, the IRS says National Tax Security Awareness Week educational materials will also be published on social media: “The effort will include special informational graphics and a social media effort on Twitter and Instagram with @IRSnews and #TaxSecurity.” Those who prefer YouTube can check out “Easy Steps to Protect Your Computer and Phone” and “Avoid Phishing Emails” on the IRSvideos channel.

Don’t forget to check Taxing Subjects on each day of the event, starting Monday, November 30.

Source: IR-2020-259 

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IRS Investigators Make Big Advances in a Busy 2020

IRS Investigators Make Big Advances in a Busy 2020

Fiscal Year 2020 was a very busy—and productive—year for the IRS’ Criminal Investigations unit. The just-released annual report for CI Division touts the unit’s identification of more than $10 billion in tax fraud and other financial crimes, despite the limitations of the COVID-19 pandemic.

This made IRS Commissioner Chuck Rettig a very happy man.

“The special agents and professional staff who make up Criminal Investigation continue to perform at an incredibly high-level year after year,” said Commissioner Rettig. “Even in the face of a global pandemic, the CI workforce initiated nearly 1,600 investigations and identified $2.3 billion in tax fraud schemes. This is no small feat during a challenging year, and their work is critical to protecting taxpayers and the integrity of our tax system.”

IRS investigators had plenty of work to keep them busy in 2020, examining COVID-19-related fraud, cybercrimes, virtual and cryptocurrencies, traditional tax investigations, international tax enforcement, employment tax, refund fraud and tax-related identity theft.

The IRS is changing tactics to keep up with perpetrators.

In response to COVID-19-related cases, CI special agents adapted their investigative techniques to initiate cases into fraudulent claims for Economic Impact Payments, Paycheck Protection Program loans, and refundable payroll tax credits from the Coronavirus Aid, Relief, and Economic Security Act (also known as the CARES Act).

“This year, more than any in recent memory, demonstrated the extraordinary agility and adaptability of the CI workforce,” said Jim Lee, Chief of CI. “Clearly, unscrupulous individuals sought to exploit the economic safeguards put in place to buttress a nation in crisis. These individuals and groups were instead met with a cadre of special agents determined to thwart their efforts.”

It should be noted that Lee took over the reins of CI just this year, after the retiring Don Fort, named Lee the new chief, capping his long career in the division.

In fiscal year 2020, CI initiated 1,598 cases, devoting 73% of its time to tax-related investigations. The number of CI special agents increased by just one percent; new special agents were hired to offset planned retirements.

CI increased and improved its data analyses while strengthening its international partnerships to assist in finding the most impactful cases.

One important partnership remained the Joint Chiefs of Global Tax Enforcement (J5), a trans-national committee comprised of tax organizations from five countries. In FY 2020 alone, more information was shared on cryptocurrency, tax crimes and related enforcement, than in the previous 10 years combined. CI also saw the first guilty pleas for a case brought to justice under the J5 umbrella.

CI is the only federal law enforcement agency with jurisdiction over federal tax crimes. As such, the division has one of the highest conviction rates in federal law enforcement: 90.4%.

IRS leadership says the high conviction rate is a testament to the department’s thoroughness of CI investigations and the quality of its special agents. CI is routinely called upon by prosecutors and partner agencies across the U.S. to lead financial investigations on a wide variety of financial crimes.

“While the annual report is an excellent summation of the hard work and dedication exhibited by CI, this year’s report takes on special significance,” Lee said. “This report unequivocally reflects the efforts of a workforce undaunted by unprecedented personal and professional challenges. I am profoundly grateful to serve with the men and women of CI.”

The interactive 2020 report summarizes a variety of CI activities during the fiscal year and highlights examples of cases for each field office on a wide range of financial crimes. The fiscal year begins Oct. 1 and ends on Sept. 30.

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