Pursuant to a congressional request, GAO reviewed the Internal Revenue
Service's (IRS) Fiscal Year (FY) 1995 Compliance Initiatives Report,
focusing on: (1) the methodology IRS used to allocate staff years and
revenues between the base enforcement programs and the compliance
initiatives; and (2) certain caveats to consider in interpreting IRS'
reported results.
GAO noted that: (1) IRS could not compile actual revenue results from
the FY 1995 compliance initiatives because the Enforcement Revenue
Information System (ERIS) only provides information on the total amount
of revenue collected as a result of enforcement activities and because
other systems, such as those that track IRS staffing, also do not
account separately for base enforcement activities and initiative
activities; (2) therefore, IRS developed a new methodology to allocate
FY 1995 enforcement revenues between base programs and the initiatives;
(3) IRS' new methodology: (a) accounted for the opportunity costs
associated with moving experienced staff off-line to train new staff;
(b) provided that no staff or revenue would be allocated to the
initiatives until planned staffing for base programs had been achieved;
and (c) improved the Compliance Initiatives Report's usefulness to
Congress by including total staffing and total revenue for the various
enforcement programs, allocated between base and initiatives, along with
explanations for variances between the results anticipated when the
initiatives were approved and the estimated final results; (4) although
the methodology used for the FY 1995 initiatives is an improvement over
previous methodologies, the results of that methodology are estimates
that are sensitive to assumptions embedded in the methodology about the
productivity of new staff and more experienced staff; (5) those
assumptions were based on the judgments of IRS managers rather than
empirical data; (6) GAO does not know what the correct assumptions are,
but GAO's sensitivity analyses showed that a change in productivity
rates could have a significant effect on the reported results; (7) in
considering IRS' estimates of the FY 1995 compliance initiatives, there
are two other caveats that are relevant; (8) the fact that the
initiatives generated a certain amount of revenue in FY 1995 does not
necessarily mean that IRS collected more enforcement revenue in FY 1995
than it did in FY 1994 but only that IRS collected more enforcement
revenue in FY 1995 than it had estimated it would collect without the
initiatives; (9) in fact, the amount of enforcement revenue IRS reported
collecting in FY 1995 was less than that reported for FY 1994; and (10)
because, the estimates of revenue attributable to the compliance
initiatives depended on various assumptions, including how IRS decided
to allocate staff, the results in FY 1995 are not necessarily indicative
of what other compliance initiatives would generate in their first year.
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