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IRS RTRP : Registered Tax Return Preparer Practice Exam

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Exam Number : RTRP
Exam Name : Registered Tax Return Preparer Practice
Vendor Name : IRS
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The Registered Tax Return Preparer Test (RTRP) focuses on the ethical responsibilities of federal tax return preparers and the completion of the Form 1040 series returns including basic related schedules and forms. The test specifications below are intended to provide guidance on the content of the RTRP test. The examples provided within each item are not all inclusive of what may be tested in a given area. All efforts have been made to develop questions and answers based on general tax rules covered in IRS publications, forms and instructions rather than exceptions found only in the Internal Revenue Code or Income Tax Regulations.

Domain 1 Preliminary Work and Collection of Taxpayer Data
1. Review prior years return for accuracy, comparison, and carryovers for current year return.
2. Collect taxpayers biographical information (e.g., date of birth, age, marital status, citizenship, dependents).
3. Determine filing status.
4. Determine all sources of taxable and non-taxable income (e.g., wages, interest, business, sale of property, dividends, rental income, income from flow-through entities, alimony, government payments, and pension distributions).
5. Determine applicable adjustments to gross income (e.g., self-employed health insurance, self-employment tax, student loan interest deduction, alimony paid, tuition, and fees deduction).
6. Determine standard deduction and Schedule A itemized deductions (e.g., state and local tax, real estate tax, cash contributions, non-cash contributions, unreimbursed employee expense, medical expense, and mortgage interest).
7. Determine applicable credits (e.g., Earned Income Tax Credit, child tax credit, education, retirement savings, dependent and childcare credit).
8. Understand tax payments (e.g., withholding, estimated payments).
9. Recognize items that will affect future returns (e.g., carryovers, depreciation).
10. Determine special filing requirements (e.g., presidentially declared disaster areas).
11. Determine filing requirements (including extensions and amended returns).
12. Understand due dates, including extensions.
13. Determine personal exemptions, including dependents.
14. Determine qualifying child/relative tests for Earned Income Credit.

Domain 2 Treatment of Income and Assets
A. Income
1. Taxability of wages, salaries, tips, and other earnings (e.g., W-2 Wage and Tax Statement, cash).
2. Interest income (taxable and non-taxable) (e.g., Schedule B and 1099-INT).
3. Dividend income (e.g., Schedule B and 1099-DIV).
4. Self-employment income and expenses (e.g., Schedule C Profit or Loss From Business and Form 1099-MISC Miscellaneous Income, cash).
5. Rental income and expenses (e.g., Schedule E Supplemental Income and Loss).
6. Identification of forgiveness of debt as income (including Form 1099-C Cancellation of Debt).
7. Other income (e.g., alimony, barter income, hobby income, non-taxable combat pay, state income tax refund from prior years, prizes).
B. Retirement income
1. Reporting requirements of Social Security benefits (e.g., Form SSA-1099 Social Security Benefit Statement).
2. Taxable distribution from an IRA including basis in an IRA (e.g., Form 8606 Non-deductible IRAs).
3. Distributions from qualified plans (e.g., 401k, IRA, Roth IRA).
4. Required minimum distributions from retirement plans.
C. Property, real and personal
1. Short-term and long-term capital gains and losses (e.g., Schedule D Capital Gains and Losses, Form 1099-B Proceeds from Broker and Barter Exchange Transactions).
2. Determination of basis of assets (e.g., purchased, gifted, or inherited).
3. Sale of non-business assets (gains or losses).
4. Sale of a principal residence (e.g., IRC 121 exclusions, 1099S Proceeds From Real Estate Transactions).
D. Adjustments to income
1. Self-employment tax (e.g., Schedule SE Self-Employment Tax).
2. Tuition and fees (e.g., Form 8917 Tuition and Fees Deduction, Form 1098T Tuition Statement).
3. Eligible Moving expenses (e.g., Form 3903 Moving Expenses).
4. Other adjustments to income (e.g., IRA contribution deduction).

Domain 3 Deductions and Credits
A. Itemized deductions
1. Medical and dental expenses.
2. State, local, and real estate taxes.
3. Mortgage interest expense (e.g., Form 1098 Mortgage Interest Statement).
4. Charitable contributions (e.g., cash, non-cash, Form 8283 Non-Cash Charitable Contributions).
5. Miscellaneous itemized deductions (including deductions subject to 2% AGI Limit).
6. Employee travel, transportation, education, and entertainment expenses (e.g., Form 2106-EZ and Form 2106 Unreimbursed Employee Business Expenses).
B. Credits
1. Child and dependent care credit (e.g., Form 2441 Child and Dependent Care Expenses).
2. Child Tax Credit and Additional Child Tax Credit (e.g., Form 8812, Additional Child Tax Credit).
3. Education credits (e.g., Form 8863 Education Credits (American Opportunity and Lifetime Learning Credits), Form 1098T Tuition Statement).
4. Earned Income Tax Credit (EITC) (e.g., Schedule EIC Earned Income Credit, Form 8867 Paid Preparers Earned Income Credit Checklist).
5. Retirement savings contribution credit (e.g., Form 8880 Credit for Qualified Retirement Savings Contributions).

Domain 4 Other Taxes
1. Alternative Minimum Tax (e.g., Form 6251 Alternative Minimum Tax).
2. Early distributions from retirement plans (e.g., Form 5329 Additional Tax on Qualified Plans).
3. Self-employment tax (e.g., Schedule SE Self-Employment Tax).
4. Unreported Social Security and Medicare tax (e.g., Form 4137 Social Security and Medicare Tax on Unreported Tip Income).
5. Repayment of first-time homebuyer credit (including Form 5405 First-Time Homebuyer Credit and Repayment of the Credit).

Domain 5 Completion of the Filing Process
1. Check return for completeness and accuracy.
2. Explain and review tax return.
3. Explain record-keeping requirements to the taxpayer.
4. Discuss significance of signatures (e.g., joint and several liability, penalty of perjury, Form 8879 IRS e-file Signature Authorization).
5. Understand tax preparer's responsibilities related to rejected electronic returns.
6. Understand timeframe for submitting electronic returns (e.g., Form 8879 taxpayer signature and date prior to submission).
7. Understand payment options (e.g., check, direct debit, EFTPS, credit card, installment agreement-Form 9465).
8. Understand estimated tax payment requirements (e.g., potential for penalties, Form 1040-ES Estimated Tax).
9. Understand refund options (e.g., Form 8888 Allocation of Refund).

Domain 6 Practices and Procedures
1. Penalties to be assessed by the IRS against a preparer for negligent or intentional disregard of rules and regulations, and for a willful understatement of liability (e.g., IRC 6694(a), IRC 6694(b)).
2. Appropriate use of Form 8867 Paid Preparers Earned Income Credit Checklist and related penalty for failure to exercise due diligence (e.g., IRC 6695(g)).
3. Furnishing a copy of a return to a taxpayer (e.g., IRC 6695(a)).
4. Signing returns and furnishing identifying (PTIN) numbers (e.g., IRC 6695(b), IRC 6695(c)).
5. Rules for the return preparer for keeping copies and/or lists of returns prepared (e.g., IRC 6695(d)).
6. Compliance with e-file procedures (e.g., timing of taxpayer signature, timing of filing, recordkeeping, prohibited filing with pay stub).
7. Completion and use of Form 2848 Power of Attorney and Declaration of Representative and Form 8821 Tax Information Authorization.
8. Safeguarding taxpayer information (e.g., Publication 4600 Safeguarding Taxpayer Information, Quick Reference Guide for Business, IRC 7216).

Domain 7 Ethics
Circular 230 Subparts A, B, and C (excluding D, E), covering subjects including, but not limited to, the following:
1. Preparers due diligence for accuracy of representations made to clients and IRS; reliance on third-party work products (Circular 230, section 10.22).
2. What constitutes practice before the IRS and categories of individuals who may practice (Circular 230, sections 10.2(a)(4) and 10.3).
3. Limits on practice by a registered tax return preparer (Circular 230, section 10.3(f)).
4. Requirement to furnish information to IRS upon request (Circular 230, section 10.20).
5. Prompt disposition of matters before the IRS (Circular 230, section 10.23).
6. Prohibition on receiving assistance from or providing assistance to disciplined practitioners (Circular 230, section 10.24).
7. Rules regarding fees, including contingent fees (Circular 230, section 10.27).
8. Rules in dealing with clients, including return of client records, conflicts of interest, advising on omissions and errors, solicitation (including advertising), and negotiation of taxpayer refund checks (Circular 230, sections 10.21, 10.28, 10.29, 10.30, and 10.31).
9. Due diligence standards with respect to tax returns and other documents; standards for signing, advising positions on returns and advising submissions of other documents; advising on penalties; good faith reliance on client information; reasonable inquiries regarding incomplete, inconsistent, incorrect information (Circular 230, sections 10.34 and 10.35).
10. Responsibility of individual(s) who have principal authority over a firms tax practices (Circular 230, section 10.36).
11. Incompetence and disreputable conduct that can result in disciplinary proceedings (Circular 230, sections 10.51 and 10.52).
12. Sanctions that may be imposed under Circular 230 (Circular 230, sections 10.50 and 10.60).



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IRS Registered Free PDF

Political nonprofit fundraising off breast melanoma has deep ties to rip-off PAC networks | RTRP boot camp and PDF Braindumps

(photo by Alexi Rosenfeld/Getty pictures)

This story become a joint investigation with the each day Beast.

This October, as americans mark one other Breast melanoma focus month, a number of companies and advocates will need to make their trigger favourite. but there’s one neighborhood donors may additionally need to stay away from: The American Breast cancer Coalition.

even though it appears like a noble charity, the ABCC is definitely a political community — and in preference to attempting to definitely handle breast cancer, the ABCC looks to be a scheme to extract hundreds of thousands of greenbacks in donations, ordinarily from small donors. 

In accurate robocalls, a feminine voice claims the aim of the group’s fundraising is to “support legislators who will battle for the fast track approval of life saving breast melanoma fitness expenses and breast melanoma medicine drugs to the FDA.”

however monetary information on file with the inner revenue provider tell a special story, reviewed in a joint investigation between The each day Beast and OpenSecrets, revealing funds to establishments with ties to a multimillion-dollar “rip-off PAC” network.

In may also 2019, bill Davis created a nonprofit called The American Breast cancer Coalition, and the community quickly started raising cash. 

in the space of two years, the nonprofit has brought in just about $three.fifty seven million within the name of that important cause, in line with IRS filings. but the ABCC has to this point paid virtually every greenback it has raised to fundraising companies. some of those corporations even have ties to a telemarketing kingpin who become fined $fifty six million ultimate 12 months for bilking donors out of tens of tens of millions of bucks in fake charity contributions.

What’s greater, it’s not on my own. 

The ABCC is one amongst a couple of political groups masquerading below names of charity causes, wide-spread broadly as “rip-off PACs.” These shady businesses purport to lift money for a number of heart-tugging concerns — e.g., legislations enforcement, wounded veterans, firefighters, children with disabilities — but plow pretty much each dollar again into elevating extra money, frequently in most important payouts to the identical community of shady telemarketing companies and other companies.

with the aid of registering as a political neighborhood in its place of a charity organization, rip-off PACs can usually operate in a criminal grey enviornment often past the reach of authorities who modify campaign finance and nonprofit activity.

however the ABCC is a PAC, in contrast to typical corporations uncovered in rip-off PAC schemes, it has no longer registered with the Federal Election fee. It has simplest registered with the IRS as a 527 political community — an curiously recent, and legal, tactical shift to make investigations greater problematic for the public, the click and regulators.

Political companies called 527s —  so named after a bit of the tax code that governs their operations — are tax-exempt nonprofits which are alleged to operate basically to impact the “alternative, nomination, election, appointment, or defeat of candidates for federal, state, or local public workplace.”

whereas 527s are allowed to make fees for causes that don't relate to political crusade activities, similar to lobbying, these organizations could be field to taxes on activities that don't further political applications.

Any political community whose “most important purpose” is the nomination or election of federal candidates is required to register with the FEC as a federal political committee. however these 527 groups are not discipline to FEC oversight, and are often called “shadow companies.” 

The IRS does require 527s to expose and itemize all contributors that supply greater than $200 in a calendar year as neatly as the bills that they make. however not like federal political committees, whose contribution and expenditure records is with ease searchable on the FEC web site, tips about these 527s is largely locked away in PDF data with the IRS and complicated to discover and digest.

a few 527 “shadow corporations” share the equal familiar raising and spending patterns. among them are the cancer healing motion community, the national melanoma Alliance, the countrywide Committee for Volunteer Firefighters, the American cops Alliance, the country wide Coalition for Disabled Veterans and several in a similar fashion named organizations which all pay a network of loosely affiliated businesses.

Eric Friedman, head of the 1st viscount montgomery of alamein County (Maryland) branch of buyer insurance plan, has spent the final two years unraveling these networks. In 2019 he busted a hoop of scam PACs, and asked the FEC to examine a group referred to as the Breast melanoma fitness Council. Friedman likened the project to an “nearly unimaginable” game of “Whack-A-Mole,” and stated his small analysis team had additionally cited that organizations have shifted from FEC-registered PACs to 527s.

“Scammers are clever and consistently relocating. So it appears like the trajectory begun as phony charities, who then determined they were better off working as phony FEC corporations, and now the latest transition—simply in time for Halloween, I guess — is to be a phony PAC registered with the IRS as a substitute of with the FEC,” Friedman pointed out.

requested why these agencies have made the new shift, Friedman mentioned it became advanced, “but the in need of it's that it’s simpler to conceal what they’re doing, so we’re now looking at that part of the scam.”

Lloyd Mayer, a nonprofit legislation knowledgeable on the college of Notre Dame legislations school, explained why the exchange poses a new hurdle.

“The evident reason to circulation far from being a federal political committee to a 527 is the FEC basically has a full personnel seem in any respect experiences which are filed. The IRS might do that in idea, however they don’t,” Mayer mentioned, noting that the obtainable IRS staff — already stretched thin — is “an order of magnitude” smaller for this work.

“no person is asking to look if the filings make sense, if the math is correct, if the numbers are semi-correct,” he delivered. “You may color them, lie, misrepresent, fudge, make it hard to peer.”

Phil Hackney, a nationally diagnosed nonprofit law expert at the school of Pittsburgh faculty of legislations, referred to he's most often concerned concerning the opposite scheme — political corporations posing as nonprofits — and had in no way considered this strategy.

“I don’t understand of anyone looking on the question of someone the usage of a 527 as a vehicle to carry out a rip-off. It’s basically tough to assert something about it, since you don’t have a body of legislation addressing automobiles being used in this means, and that i’m now not bound if you could use tax law to crack down,” Hackney referred to.

but he noted that the Federal alternate fee and state attorneys standard might also have jurisdiction “related to client hobby protections and possible wire fraud,” an statement shared by way of numerous crusade finance and nonprofit legislation specialists.

Mayer agreed that these groups seem to have narrowed down a handy felony gray zone. “They found a scam, and that they got caught, and they moved to a further area,” he observed.

“here is precisely the organizational structure the FTC has gone after within the charity area — using vets, police, little ones with melanoma because the attraction. It’s the same network of organizations shifting jurisdictions through the years,” he said. “The issue here is that the donors may have idea it become going to charity, but since the name script doesn’t say that, it raises a jurisdictional challenge. however, if it’s fraud it’s fraud.”

About half the money the ABCC has raised in view that 2019 came over the primary six months of 2021 — $1.4 million, all from small donors who have given beneath $200. That skill the group didn’t should demonstrate any information about those donors, and that as a minimum 6,950 unknown individuals have contributed to the group this 12 months.

however over these same six months, the ABCC spent pretty much each greenback it raised. in reality, it shelled out all but $1,882 of its earnings in that period — all to a handful of currently created fundraising agencies. The group’s IRS filings show the equal sample over the route of two years.

none of the funds are identified as politically linked, either, and they don’t go to any recognizable breast cancer advocacy organizations. 

many of the organizations that receive the funds are problematic to trace with the rest wanting a court order, but not all of them.

Our investigation changed into in a position to join some of those businesses to standard scammers. The greater network reaches greater than a dozen states, together with Florida, New Jersey, Georgia, Nevada, Texas, Ohio, Indiana and Tennessee. over the years, these corporations have netted an untold amount of money — in the tens of thousands and thousands of dollars, if not extra — from sham businesses just like the ABCC.

invoice Davis couldn't be reached, and the ABCC did not reply to an emailed request for comment.

The ABCC web page does take care, however, to inform company that the neighborhood helps candidates who fight to stay away from breast cancer. It’s just not clear who these candidates are. And the embedded informational video that makes these claims turned into produced by means of an organization that the ABCC has under no circumstances suggested paying — in spite of the fact that the creation house, Prohibition Productions, is run by way of a person who owns three other businesses that contract with the PAC. it is uncertain who paid for the video, and the way.

mainly, many of the ABCC’s fundraising contractors undergo ties to serial telemarketer Mark Gelvan, who just closing September a federal courtroom discovered guilty of the use of his sprawling company, Outreach Calling, to run a charity scam that bilked donors out of millions. Gelvan, who initially hails from New Jersey but now resides in Florida, received hit with a $56 million excellent for that operation, and turned into banned from charity fundraising. in fact, one of the crucial corporations is registered to one in all Gelvan’s co-defendants, who was additionally fined and barred from charity fundraising.

however the judgment contained a conspicuous carveout that allowed them to proceed to lift funds for political corporations — they just can’t mislead their donors.

The daily Beast has spoken to more than two dozen rip-off PAC donors over the final yr, a few of whom gave to corporations which have paid big sums to companies connected to this equal network. all of the donors noted they believed they have been giving to a charity.

throughout the 2018 and 2020 election cycles, a firm tied to Gelvan referred to as Market procedure group netted about $18 million from a community of PACs. many of those PACs have additionally paid ABCC’s different contractors, including campaign advertising Inc. and perception records administration, two entities jointly registered to a person named Alan Bohms who has purportedly made hundreds of thousands of greenbacks from scam PAC networks.

Bohms also produced the ABCC video through Prohibition Productions. some of the few other political movies made attainable on-line via the creation enterprise is a video for Constitutional leadership PAC, a purported scam PAC accused of helping Las Vegas-primarily based telemarketer Richard Zeitlin illegally solicit donations in a federal type motion lawsuit filed in September. but in contrast to many other vendors ABCC shares with other alleged scam PACs, neither ABCC nor Constitutional management PAC reported any funds to Prohibition Productions.

Gelvan did not reply to distinctive requests for comment.

suppose free to distribute or cite this material, but please credit OpenSecrets.For permission to reprint for industrial uses, such as textbooks, contact OpenSecrets: [email protected] study greater OpenSecrets information & analysis: 527s · Investigation

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