MISC Estate & Abusive Tax Avoidance Transactions
Question: How can I recognize an abusive tax avoidance transaction?
Taxpayers can minimize their tax liability through legitimate investment, but they cannot invest in abusive tax avoidance transactions to minimize or eliminate their tax liability. Abusive tax avoidance transactions reduce current tax liability by offsetting income from one source with losses or deductions from another source. An abusive tax avoidance transaction:
- Offers inflated tax savings which are disproportionately greater than your actual investment placed at risk. Generally, an abusive tax avoidance transaction generates little or no income or capital appreciation.
- Is a transaction in which a significant purpose is the avoidance or evasion of federal income taxes. In comparison, a legitimate investment produces income or capital appreciation and involves a risk of loss proportionate to the investment. Additionally, a legitimate investment has a business purpose other than the reduction of taxes.
- Is often marketed in terms of how much you can reduce your tax liability.
- The American Jobs Creation Act of 2004, which contains many provisions that will affect abusive tax avoidance transactions.
- Notice 2009-59 which contains a list of 34 transactions which have been identified as listed transactions. Listed transactions are abusive tax avoidance transactions.
- Notice 2009-55 which contains a list of 4 transactions which have been identified as transactions of interest. A transaction of interest is a transaction that the IRS and Treasury Department believe has a potential for tax avoidance or evasion, but for which the IRS and Treasury Department lack enough information to determine whether the transaction should be identified specifically as a tax avoidance transaction.
Subcategory: MISC Estate & Abusive Tax Avoidance Transactions