Date: July 25, 2023
Time: 10 a.m. – 12 p.m. PT
$89.00
$119.00
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Learn an overview of confidentiality privileges that shield taxpayer communications with their non-attorney tax professional from discovery by the Federal government in tax controversy. Taxpayers are entitled to assert confidentiality privilege under Internal Revenue Code Section 7525, similar to the common law attorney-client privilege concerning communications with CPAs and Enrolled Agents. Also, some taxpayer communications with an expert, including CPAs and Enrolled Agents, enjoy privileged protection from discovery by the government under the "work product" doctrine. Additionally, communications between clients, attorneys, CPAs and Enrolled Agents may enjoy privilege protection under the "Kovel" judicial doctrine when the professional is retained to assist an attorney. Significant limitations attached to non-attorney privileges are critical for tax professionals to understand. Further, to avoid compromising, a taxpayer communicates with an expectation of privilege that will not withstand challenge. Learn from the perspective of a non-attorney tax professional with experience in addressing each of the privilege issues in tax practice.
1000001646-116042
Closed Captioning Available
CPAs, EAs, and other tax return preparers.
Regulatory Ethics
Advanced
Tax practitioners with two years experience and a working knowledge of the AICPA Statements on Standards for Tax Services and IRS Circular 230.
None
This course was recorded on 7/10/2023. The instructor will be available via the chat feature to answer questions during the presentation.