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Chapter 02 Tax Compliance, the IRS, and Tax Authorities

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Question;50.;Tyrone;claimed a large amount of charitable contributions as a tax deduction;relative to taxpayers with similar levels of income. If Tyrone's tax return;is chosen for audit because of his large charitable contributions, which;audit program likely identified Tyrone's tax return for audit?;A.;DIF system.;B.;Deduction detective.;C.;Document perfection.;D.;Information matching.;E.;None of these.;51.;Ramon's tax;return was randomly selected for audit. Which IRS program likely selected;Ramon's return for audit?;A.;DIF system.;B.;National Research Program.;C.;Document perfection.;D.;Information matching.;E.;None of these.;52.;Which of the;following audits is the most common and typically less comprehensive?;A.;Correspondence.;B.;Random.;C.;Office.;D.;Field.;E.;None of these.;53.;Which of the;following audits is the least common, broadest in scope, and typically most;complex?;A.;Correspondence.;B.;Targeted.;C.;Office.;D.;Field.;E.;None of these.;54.;Dan received;a letter from the IRS that gave him the choice of (1) requesting a conference;with an Appeals Officer or (2) agreeing to a proposed tax adjustment. Dan;received the;A.;30-day letter.;B.;90-day letter.;C.;Appeals letter.;D.;Tax adjustment letter.;E.;None of these.;55.;Basu received;a letter from the IRS that gave him the choice of (1) paying a proposed;deficiency or (2) filing a petition with the U.S. Tax Court. Basu received;the;A.;30-day letter.;B.;90-day letter.;C.;Appeals letter.;D.;Tax adjustment letter.;E.;None of these.;56.;Which of the;following courts is the only court that provides for a jury trial?;A.;Tax Court.;B.;U.S. Court of Federal Claims.;C.;U.S. District Court.;D.;U.S. Circuit Court of Appeals.;E.;None of these.

 

Paper#55260 | Written in 18-Jul-2015

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