Civil or criminal allegations can be a byproduct of an IRS audit. The key differences lie in the level of proof required, the types of penalties imposed, and the potential outcomes. An examiner must prove a civil tax infraction with clear and convincing evidence. Given that, the examiner can assess additional tax along with a monetary penalty that usually involves interest.
During a civil audit, if an examiner suspects a serious tax crime, they may halt the review and refer the matter for a criminal tax investigation and eventual prosecution. Eggshell and reverse eggshell audits carry high stakes for taxpayers who know they have something to hide. Prosecutors must prove the taxpayer intended to subvert the tax code beyond a reasonable doubt. Consequences can include prison time, restitution, and other penalties
Criminal tax charges are more likely to be brought when the actions and the behavior of the taxpayer can be clearly shown as willful and intentional. Types of federal tax crimes frequently pursued by the IRS include:
Tax requirements can be confusing at times. If you have questions about an investment or activity that could be on the sketchy side of things, speak with a reputable tax attorney before you take the plunge.
Whether you are keeping two sets of books or are too anxious to admit you have not filed a Report of Foreign Bank and Financial Accounts (FBAR), good legal advice is key. Our tax group can help you navigate offshore tax compliance, payroll tax, and tax returns that are not strictly accurate. When you are overwhelmed with fear of tax litigation, set up a consultation or call us at 440-250-9709. We serve clients across the U.S. and internationally from our offices in Cleveland and Chicago.
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