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IRS, Treas. Change Reporting for Class of Transactions
WASHINGTON --
Internal Revenue Service and Treasury officials announced Friday
the elimination of a class of reportable transactions involving
significant book-tax differences, according to a press release.
Officials took
this action after a new return schedule for large businesses made
separate reporting unnecessary, while continuing to ensure that
these transactions will come to the attention of the IRS.
Taxpayers are
required to disclose to the IRS their participation in reportable
transactions to the IRS. In certain cases, taxpayers’ advisors
are also required to disclose their involvement with reportable
transactions to the IRS and to keep lists of participants in those
transactions. The reportable transaction rules aim to increase transparency
by ensuring that the IRS learns of potentially abusive transactions
before these transactions are uncovered in an examination.
Under existing
rules, one of the six categories of reportable transactions involves
transactions that have a greater than $10 million difference between
financial reporting and tax reporting. In 2004, the IRS released
Schedule M-3 to be used by corporations with total assets of $10
million or more that file Form 1120 corporate income tax returns.
This new schedule provides detailed information to the IRS on transactions
with significant book-tax differences. In December 2005, the IRS
released draft versions of Schedule M-3 applicable to certain other
entities with assets of $10 million or more. When finalized, these
new versions of Schedule M-3 will be applicable for the 2006 tax
year.
After a review
comparing reportable transaction submissions and the information
being provided on Schedule M-3, the IRS and Treasury Department
have concluded that the book-tax difference category of reportable
transactions is no longer necessary. Notice 2006-6, released Friday,
eliminates the book-tax difference category of reportable transactions.
-- NYSSCPA.org
News Staff
Posted on
1/11/06
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