Pursuant to a congressional request, GAO identified the issues that
cause the most frequent disputes between the Internal Revenue Service
(IRS) and taxpayers in connection with section 162 of the tax code.
GAO found that: (1) of the 185 Tax Court petitions reviewed, sole
proprietors, small- and medium-sized corporations, and individuals
claiming employee business expenses disagreed with IRS most often over
the adequacy of documentation for a given expense deduction; (2) 47
percent of the petitions involved questions of proper documentation of
all types of deductions, particularly for entertainment, travel, meals,
and automobile expenses; (3) while sole proprietors most often disputed
documentation issues, small- and medium-sized corporations frequently
contested IRS decisions on the reasonableness of executive salaries; (4)
although executive compensation disputes accounted for only 14 percent
of the petitions, they accounted for about 50 percent of the total
proposed tax adjustments; (5) documentation disputes accounted for 19
percent of the total proposed tax adjustments; (6) in the 117 Office of
Appeals cases reviewed, large corporations' capital expenditure disputes
accounted for 42 percent of the contested issues and almost 58 percent
of the total proposed tax adjustments; and (7) corporate documentation
and executive compensation disputes constituted 8 percent and 3 percent,
respectively, of the Appeals cases.
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