Tax Practitioners' Perceptions Regarding Fraudulent Earned Income Tax Credit Claims

Tax Practitioners' Perceptions Regarding Fraudulent Earned Income Tax Credit Claims PDF

Author: Dr. Michael Fidelis-Nwaefulu

Publisher: Xlibris Corporation

Published: 2019-11-21

Total Pages: 164

ISBN-13: 1796073431

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This descriptive case study investigated the phenomenon of tax practitioner filing fraudulent earned income tax credit claims on behalf of a client. The study took place in Dallas/Fort Worth metropolitan area in Texas in the United States and thirty tax practitioners in the Dallas/Fort Worth area in Texas, were recruited in a non-probability purposeful sampling technique. Eighteen professional tax preparers with an average age of 50.5 years and tax practitioner experience of 11.05 years were interviewed face-to-face, in a one-on-one setting within the Dallas/Fort Worth metropolitan area were necessary to reach data saturation. Half of the participants were females and all participants had college degrees. The research explored paid tax practitioners’ perception regarding fraudulent earned income tax credit claims (EITC). The following categories were determined: practitioners have EITC rules about compliance and due-diligence, knowledge and training of EITC due-diligence program are vital elements for successful program, workplace culture is influenced by external environment factor, and tax practitioners' decision-making choices influence taxpayer behavior. This result of this study may inform stakeholders of behavioral factors that might be necessary to improve EITC claims compliance among all stakeholders.

Tax Practitioners' Perceptions Regarding Fraudulent Earned Income Tax Credit Claims

Tax Practitioners' Perceptions Regarding Fraudulent Earned Income Tax Credit Claims PDF

Author: Michael Fidelis-Nwaefulu

Publisher: Xlibris Us

Published: 2019-11-21

Total Pages: 198

ISBN-13: 9781796073454

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This descriptive case study investigated the phenomenon of tax practitioner filing fraudulent earned income tax credit claims on behalf of a client. The study took place in Dallas/Fort Worth metropolitan area in Texas in the United States and thirty tax practitioners in the Dallas/Fort Worth area in Texas, were recruited in a non-probability purposeful sampling technique. Eighteen professional tax preparers with an average age of 50.5 years and tax practitioner experience of 11.05 years were interviewed face-to-face, in a one-on-one setting within the Dallas/Fort Worth metropolitan area were necessary to reach data saturation. Half of the participants were females and all participants had college degrees. The research explored paid tax practitioners' perception regarding fraudulent earned income tax credit claims (EITC). The following categories were determined: practitioners have EITC rules about compliance and due-diligence, knowledge and training of EITC due-diligence program are vital elements for successful program, workplace culture is influenced by external environment factor, and tax practitioners' decision-making choices influence taxpayer behavior. This result of this study may inform stakeholders of behavioral factors that might be necessary to improve EITC claims compliance among all stakeholders.

The Crisis in Tax Administration

The Crisis in Tax Administration PDF

Author: Henry Aaron

Publisher: Rowman & Littlefield

Published: 2004-05-20

Total Pages: 420

ISBN-13: 9780815796565

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People pay taxes for two reasons. On the positive side, most people recognize, even if grudgingly, that payment of tax is a duty of citizenship. On the negative side, they know that the law requires payment, that evasion is a crime, and that willful failure to pay taxes is punishable by fines or imprisonment. The practical questions for tax administration are how to strengthen each of these motives to comply with the law. How much should be spent on enforcement and how should enforcement be organized to promote these objectives and achieve the best results per dollar spent? Over the last few years, the U.S. Congress has restricted spending on tax administration, forcing the Internal Revenue Service to curtail enforcement activities, at the same time, that the number of individual filers has increased, tax rules have become more complex, and more business have become multinational operations. But if too many cases of tax evasion go undetected and unpunished, those who may have grudgingly paid their taxes may soon find it easier to join the scofflaws. These events in combination have created a genuine crisis in tax administration. The chapters in this volume evaluate the capacity of authorities to enforce the tax laws in a modern, global economy and examine the implications of failing to do so. Specific aspects of tax law, including tax shelters, issues relating to small businesses, tax software, role of tax preparers, and the objectives of tax simplification are examined in detail. The volume also builds a conceptual basis for future scholarship, with regard not only to tax administration, but also to such fundamental questions as whether taxpayers respond mostly to economic incentives or are influenced by their experiences with the filing process and what is the proper framework for evaluating the allocation of resources within the IRS.

Model Rules of Professional Conduct

Model Rules of Professional Conduct PDF

Author: American Bar Association. House of Delegates

Publisher: American Bar Association

Published: 2007

Total Pages: 216

ISBN-13: 9781590318737

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The Model Rules of Professional Conduct provides an up-to-date resource for information on legal ethics. Federal, state and local courts in all jurisdictions look to the Rules for guidance in solving lawyer malpractice cases, disciplinary actions, disqualification issues, sanctions questions and much more. In this volume, black-letter Rules of Professional Conduct are followed by numbered Comments that explain each Rule's purpose and provide suggestions for its practical application. The Rules will help you identify proper conduct in a variety of given situations, review those instances where discretionary action is possible, and define the nature of the relationship between you and your clients, colleagues and the courts.