IRS Representation

Part 3 ยท 31 study cards ยท Active recall format

Q1.What is Form 2848?

Power of Attorney and Declaration of Representative authorizes an individual to represent a taxpayer before the IRS and receive/trade confidential tax information

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Q2.What is Form 8821 and how does it differ from Form 2848?

Tax Information Authorization allows receiving confidential tax information but does NOT authorize representation before the IRS or executing closing agreements

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Q3.What is the general statute of limitations for IRS assessment of tax?

3 years from the later of the filing date or the due date of the return

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Q4.What is the statute of limitations when 25% or more of gross income is omitted?

6 years

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Q5.When is there no statute of limitations for assessment?

Fraud, willful evasion, or no return filed โ€” indefinite (no limit)

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Q6.What are the three main types of IRS audits?

Correspondence audit โ€” by mail for simple issues Office audit โ€” at an IRS office Field audit โ€” at taxpayer's place of business, most comprehensive

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Q7.What is the 30-day letter from the IRS?

Preliminary report of proposed adjustments after an audit. Taxpayer has 30 days to agree and sign Form 870 or file an appeal. Failure to respond leads to the 90-day letter (Notice of Deficiency).

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Q8.What is a 90-day letter (Notice of Deficiency) and what must the taxpayer do?

IRS formal determination of additional tax. Taxpayer has 90 days (150 days if outside US) to file a petition in US Tax Court. No payment required to enter Tax Court.

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Q9.What are the differences between US Tax Court, District Court, and Court of Federal Claims for tax disputes?

Tax Court โ€” no need to pay tax first, no jury District Court โ€” must pay tax first and sue for refund, jury trial available Court of Federal Claims โ€” must pay first, no jury, sits in Washington DC

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Q10.What is a PTIN and who needs one?

Preparer Tax Identification Number required for anyone who prepares or assists in preparing all or substantially all of a federal tax return for compensation. Renewed annually.

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Q11.What is Form 8879 used for?

IRS e-file Signature Authorization taxpayer authorizes the ERO to e-file. Must be signed before transmission and retained for 3 years.

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Q12.What is the IRS Office of Appeals and what is its purpose?

An independent IRS function that resolves disputes without litigation. Appeals Officers settle based on hazards of litigation. New issues cannot typically be raised.

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Q13.Which authorities are binding federal tax law, and which common IRS materials are not binding precedent?

Internal Revenue Code Treasury regulations controlling federal court decisions IRS publications are not binding precedent Internal Revenue Manual is not binding precedent

P3-U01Effective: 2026 SEE cycle; law current through 2026-07-12Primary authority โ†—
Q14.What precedential effect does a private letter ruling have?

binding on IRS for the requesting taxpayer only if facts were fully and accurately stated only if transaction was carried out as described may not be used or cited as precedent by other taxpayers

P3-U01Effective: Current law; verified 2026-07-12Primary authority โ†—
Q15.Which professionals have unlimited representation rights before the IRS?

enrolled agents attorneys certified public accountants

P3-U02Effective: 2026 SEE cyclePrimary authority โ†—
Q16.What are the current vendor and testing window for the 2026 Special Enrollment Examination cycle?

PSI Services July 1, 2026 through February 28, 2027

P3-U02Effective: 2026 EA-SEE testing cyclePrimary authority โ†—
Q17.How do Form 2848 and Form 8821 differ?

Form 2848 authorizes representation before IRS Form 2848 may authorize acts specified by the taxpayer Form 8821 authorizes inspection or receipt of tax information Form 8821 does not authorize representation

P3-U03Effective: Current forms; verified 2026-07-12Primary authority โ†—
Q18.What is the general confidentiality rule for federal returns and return information?

returns and return information are confidential IRS disclosure requires statutory authorization taxpayer consent may authorize specified disclosure

P3-U03Effective: Current law; verified 2026-07-12Primary authority โ†—
Q19.Which disclosure form applies to a position contrary to a Treasury regulation, and which applies to other adequately disclosed positions?

Form 8275-R for a position contrary to a regulation Form 8275 for other disclosed positions

P3-U05Effective: Current forms; verified 2026-07-12Primary authority โ†—
Q20.What penalties apply to a preparer under IRC ยง6694 for an understatement?

unreasonable position: greater of $1,000 or 50% of preparer-derived income willful or reckless conduct: greater of $5,000 or 75% of preparer-derived income

P3-U07Effective: Current law; verified 2026-07-12Primary authority โ†—
Q21.What are the principal federal assessment periods that determine how long supporting tax records should be retained?

3 years generally 6 years for omission exceeding 25% of gross income no limitation for a false or fraudulent return no limitation when no return is filed

P3-U07Effective: Current law; verified 2026-07-12Primary authority โ†—
Q22.What advance notice is generally required before IRS contacts a third party during an examination?

notice at least 45 days before the first contact notice specifies a contact period not longer than 1 year

P3-U10Effective: Current law; verified 2026-07-12Primary authority โ†—
Q23.What are the three principal types of IRS examination?

correspondence examination office examination field examination

P3-U10Effective: Current procedures; verified 2026-07-12Primary authority โ†—
Q24.How long does a taxpayer have to petition Tax Court after a Notice of Deficiency?

90 days generally 150 days if the notice is addressed to a person outside the United States

P3-U11Effective: Current law; verified 2026-07-12Primary authority โ†—
Q25.Which federal court permits a taxpayer to contest a deficiency without first paying, and which refund courts require payment first?

U.S. Tax Court does not require advance payment U.S. District Court requires payment first U.S. Court of Federal Claims requires payment first

P3-U11Effective: Current law; verified 2026-07-12Primary authority โ†—
Q26.When does the paid-preparer e-file mandate apply to Forms 1040 and 1041?

11 or more covered returns in a calendar year returns aggregated across the firm all covered returns prepared by firm members must be e-filed unless an exception applies

P3-U12Effective: 2026 filing seasonPrimary authority โ†—
Q27.What must an ERO do after IRS rejects an individual e-file, and what is the timely electronic perfection period?

notify taxpayer within 24 hours provide rejection code and explanation correct and retransmit by the fifth calendar day after the return due date if the original transmission was timely

P3-U12Effective: Publication 1345 revised December 2025; 2026 filing seasonPrimary authority โ†—
Q28.How long must an ERO retain Form 8879?

3 years from the later of the return due date or IRS acceptance date not submitted unless IRS requests it

P3-U12Effective: Publication 1345 revised December 2025; 2026 filing seasonPrimary authority โ†—
Q29.What core duties apply to a paid tax preparer's Written Information Security Plan?

create a written security plan implement the plan identify and assess risks use safeguards appropriate to the firm's size and complexity monitor service providers review and update the plan as risks and operations change

P3-U13Effective: FTC Safeguards Rule and IRS guidance current through 2026-07-12Primary authority โ†—
Q30.When must an individual-return e-file provider report a confirmed taxpayer-data security incident to IRS?

as soon as possible no later than the next business day after confirmation

P3-U13Effective: 2026 filing seasonPrimary authority โ†—
Q31.How does an Identity Protection PIN work?

6 digits valid for one calendar year new IP PIN issued each year available to any taxpayer who can verify identity required on an e-file after enrollment

P3-U13Effective: IRS IP PIN procedures current through 2026-07-12Primary authority โ†—

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