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DTSTART:20170622T120000Z
DTEND:20170622T140000Z
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SUMMARY:Tax Controversy Update - Innocent Spouse Relief and Responsible Party Assessments
DESCRIPTION:1.5 CE credits available from the CFP Board\; Program is eligible for CPE credits with the Massachusetts Board of Public Accountancy.\n\n\n\nPart 1: The Joint Return and Innocent Spouse/Injured Spouse Liability\n\nIRC  6013 imposes joint and several liability on spouses who choose to file a joint individual income tax return. As a general rule\, married persons who file jointly end up owing less tax than if they chose to file as married persons filing separately\, so the default choice among most return preparers\, if not all\, is to prepare a joint return. \n\n	What happens if the return shows a significant balance due when it is finally prepared?\n	Does the return preparer have an obligation to inquire whether\, when and how their joint return clients are going to pay the balance? \n	If one spouse is an unemployed homemaker\, does the return preparer have an obligation to tell the unemployed spouse that s/he is jointly and severally liable for the amount due? \n	If the "breadwinner" chooses to leave town without paying off the liability\, will s/he be held liable for the entire amount due? \n	Are these obligations different if the return preparer happens to be a lawyer\, CPA\, or Enrolled Agent?\n\nIn Part 1\, we present the framework for claiming innocent spouse relief pursuant to IRC  6015 and how and when to claim injured spouse relief. We also explore the preparer's obligations to inform his clients about the potential pitfalls of executing a joint tax return and whether the preparer should tell one spouse that s/he should seek separate counsel.\n\n \n\nPart 2: Liability of Third Parties for Unpaid Taxes - the "Responsible Person"\n\nBecoming an officer\, shareholder\, partner\, or member in an organization can have devastating consequences\, as well as significant financial rewards. If that organization has outstanding employment taxes or has not collected and paid over its sales and use tax obligations to the appropriate tax authority\, certain members of that organization\, whether they were responsible for making sure those obligations were met or not\, can be held liable.\n\n\n	What should advisors tell their clients about these obligations?\n	How are the Massachusetts rules and procedures different from the IRS? \n	What should preparers look out for when preparing corporate income tax and informational returns? \n	Does the preparer have an obligation to inform an unsuspecting employee that s/he could face "Responsible Person" liability? \n\nIn Part 2\, we explain what the government must prove to hold someone liable as the "Responsible Person" highlighting the significant differences between the IRS and DOR's burden of proof and how to challenge an assessment. The discussion will also include when lenders can be held liable for a corporate borrower's employment tax withholdings.\n\n\n\nAmple time will be provided to respond to your questions.\n\n \n\nBreakfast will be served.\n\nThere is no cost to attend.\n\n\n\nRegister Here
X-ALT-DESC;FMTTYPE=text/html:<span style="font-size:12px"><span style="font-family:verdana"><em>1.5 CE credits available from the CFP Board\;&nbsp\;Program is eligible for&nbsp\;CPE credits with the&nbsp\;Massachusetts Board of Public Accountancy.</em><br />\n<br />\n<strong>Part 1: The Joint Return and Innocent Spouse/Injured Spouse Liability</strong><br />\nIRC &sect\;6013 imposes joint and several liability on spouses who choose to file a joint individual income tax return. As a general rule\, married persons who file jointly end up owing less tax than if they chose to file as married persons filing separately\, so the default choice among most return preparers\, if not all\, is to prepare a joint return.&nbsp\;</span></span>\n<ul>\n	<li><span style="font-size:12px"><span style="font-family:verdana">What happens if the return shows a significant balance due when it is finally prepared?</span></span></li>\n	<li><span style="font-size:12px"><span style="font-family:verdana">Does the return preparer have an obligation to inquire whether\, when and how their joint return clients are going to pay the balance?&nbsp\;</span></span></li>\n	<li><span style="font-size:12px"><span style="font-family:verdana">If one spouse is an unemployed homemaker\, does the return preparer have an obligation to tell the unemployed spouse that s/he is jointly and severally liable for the amount due?&nbsp\;</span></span></li>\n	<li><span style="font-size:12px"><span style="font-family:verdana">If the &quot\;breadwinner&quot\; chooses to leave town without paying off the liability\, will s/he be held liable for the entire amount due?&nbsp\;</span></span></li>\n	<li><span style="font-size:12px"><span style="font-family:verdana">Are these obligations different if the return preparer happens to be a lawyer\, CPA\, or Enrolled Agent?</span></span></li>\n</ul>\n<span style="font-size:12px"><span style="font-family:verdana">In Part 1\, we present the framework for claiming innocent spouse relief pursuant to IRC &sect\;6015 and how and when to claim injured spouse relief. We also explore the preparer&#39\;s obligations to inform his clients about the potential pitfalls of executing a joint tax return and whether the preparer should tell one spouse that s/he should seek separate counsel.<br />\n&nbsp\;<br />\n<strong>Part 2: Liability of Third Parties for&nbsp\;</strong><strong><strong>Unpaid Taxes - the &quot\;Responsible Person&quot\;</strong></strong><br />\nBecoming an officer\, shareholder\, partner\, or member in an organization can have devastating consequences\, as well as significant financial rewards. If that organization has outstanding employment taxes or has not collected and paid over its sales and use tax obligations to the appropriate tax authority\, certain members of that organization\, whether they were responsible for making sure those obligations were met or not\, can be held liable.</span></span>\n\n<ul>\n	<li><span style="font-size:12px"><span style="font-family:verdana">What should advisors tell their clients about these obligations?</span></span></li>\n	<li><span style="font-size:12px"><span style="font-family:verdana">How are the Massachusetts rules and procedures different from the IRS?&nbsp\;</span></span></li>\n	<li><span style="font-size:12px"><span style="font-family:verdana">What should preparers look out for when preparing corporate income tax and informational returns?&nbsp\;</span></span></li>\n	<li><span style="font-size:12px"><span style="font-family:verdana">Does the preparer have an obligation to inform an unsuspecting employee that s/he could face &quot\;Responsible Person&quot\; liability?&nbsp\;</span></span></li>\n</ul>\n<span style="font-size:12px"><span style="font-family:verdana">In Part 2\, we explain what the government must prove to hold someone liable as the &quot\;Responsible Person&quot\; highlighting the significant differences between the IRS and DOR&#39\;s burden of proof and how to challenge an assessment. The discussion will also include when lenders can be held liable for a corporate borrower&#39\;s employment tax withholdings.<br />\n<br />\nAmple time will be provided to respond to your questions.<br />\n&nbsp\;<br />\nBreakfast will be served.<br />\nThere is no cost to attend.<br />\n<br />\n<span style="font-size:16px"><strong><a href="https://events.r20.constantcontact.com/register/eventReg?oeidk=a07ee7nbgmj2c071552&amp\;oseq=&amp\;c=&amp\;ch=">Register Here</a></strong></span></span></span>
LOCATION:Boston College Club 100 Federal Street\, 36th Floor Harborview Room Boston\, MA 02210
UID:e.2779.1783
SEQUENCE:3
DTSTAMP:20260514T013435Z
URL:https://members.bostonchamber.com/events/details/tax-controversy-update-innocent-spouse-relief-and-responsible-party-assessments-1783
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