GAO discussed issues surrounding earned income credit (EIC)
noncompliance.
GAO noted that: (1) EIC noncompliance has been a concern for a number of
years and is a major factor underlying GAO's designation of filing fraud
as one of the federal program areas at high risk because of
vulnerability to waste, fraud, abuse, and mismanagement; (2) through
design changes and administrative actions, noncompliance, expressed as a
percentage of total EIC dollars paid out, has been reduced since 1988
but, because of increases in the number of claimants and changes in
credit amounts over the past few years, the amount of dollars
erroneously paid out has increased dramatically; (3) a root cause of EIC
noncompliance is the self-determination of eligibility by taxpayers
combined with the Internal Revenue Service's (IRS) limited ability to
verify eligibility before the refund is issued; (4) IRS has undertaken,
with some success, a variety of efforts to reduce EIC noncompliance in
recent years; (5) while the impact of IRS' efforts cannot be precisely
quantified, it is reasonable to expect that recent declines in the
noncompliance rate were in part the result of IRS' efforts; (6) how much
further it can be reduced with available resources is uncertain; (7) it
will not be easy to significantly reduce EIC noncompliance because of
the nature of the credit and the design of IRS' systems; (8) Treasury
has announced eight proposals, six of which would involve legislation,
to reduce EIC noncompliance; (9) those proposals provide a starting
point for deliberations on what can reasonably be done to address this
difficult problem; and (10) various questions need to be answered in
assessing those proposals, the most significant being whether they get
at the real causes of noncompliance.
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