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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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RTRP test Format | RTRP Course Contents | RTRP Course Outline | RTRP test Syllabus | RTRP test Objectives

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 Dumps 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 syllabus 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 Cheatsheet

This Breast cancer Charity Is the huge New ‘rip-off’ in Politics | RTRP boot camp and Latest Topics

This October, as americans mark one more Breast melanoma consciousness month, many groups and advocates are searching for tips on how to support the trigger. but there’s one group donors may additionally want to prevent: The American Breast cancer Coalition.

even though it seems like a noble charity, the ABCC is really a political group—and rather than attempting to in reality handle breast melanoma, the ABCC looks to be a scheme to extract millions of dollars in donations, typically from small contributors.

In exact robocalls, a feminine voice claims the purpose of the group’s fundraising is to “support legislators who will combat for the quick music approval of life-saving breast melanoma health expenses and breast cancer remedy medication to the FDA.”

however financial facts on file with the inside earnings service inform a unique story, reviewed in a joint investigation between The each day Beast and OpenSecrets, revealing funds to businesses with ties to a multimillion-dollar “scam PAC” network.

In might also 2019, bill Davis created the nonprofit, and the community quickly started raising funds.

in the area of two years, ABCC has introduced in basically $three.fifty seven million, based on IRS filings. however the nonprofit has to this point paid basically each dollar it has raised to fundraising organizations. some of those corporations even have ties to a telemarketing kingpin who become fined $fifty six million last year for bilking donors out of tens of thousands and thousands of bucks in false charity contributions.

What’s extra, it’s now not by myself.

The ABCC is only one of a number of political corporations masquerading as charities, general largely as “rip-off PACs.” These shady corporations purport to elevate money for a couple of heart-tugging issues—e.g., legislations enforcement, wounded veterans, firefighters, toddlers with disabilities—however plow just about every dollar lower back into elevating extra cash, regularly in essential payouts to the equal community of shady telemarketing companies and different organizations.

“Scammers are artful and consistently moving. So it feels like the trajectory begun as phony charities, who then decided they had been operating as phony FEC organizations, and now the existing transition—just in time for Halloween, I wager—is to be a phony PAC registered with the IRS instead of with the FEC.”

— Eric Friedman, head of Maryland’s Sir Bernard Law County department of customer insurance policy

via registering as a political community as a substitute of a charity corporation, scam PACs can usually operate in a prison grey enviornment beyond the reach of authorities that alter crusade finance and nonprofit exercise.

but the ABCC case is even more brazen. although the ABCC is a PAC, unlike ordinary scam PACs, it has no longer registered with the Federal Election commission. as an alternative, it has registered with the IRS as a “527” political group—an apparently fresh (and criminal) tactical shift to make investigations more difficult for the public, the click, and regulators.

Political companies referred to as 527s—so named after a piece of the tax code that governs their operations—are tax-exempt nonprofits that are speculated to operate primarily to influence the “preference, nomination, election, appointment, or defeat of candidates for federal, state, or local public office.”

while 527s are allowed to make charges for factors that don't relate to political campaign actions, equivalent to lobbying, those organizations may be subject to taxes on activities that don't additional political purposes.

Any political neighborhood whose “primary aim” is the nomination or election of federal candidates is required to register with the FEC as a federal political committee. however these 527 groups don't seem to be area to FEC oversight, and are often called “shadow agencies.”

The IRS does require 527s to divulge and itemize all contributors that provide greater than $200 in a calendar 12 months, as neatly as the expenditures that they make. however in contrast to federal political committees, whose contribution and expenditure records is quite simply searchable on the FEC website, counsel about these 527s is basically locked away in PDF info with the IRS and difficult to find and digest.

a number of 527 “shadow organizations” share the equal conventional raising and spending patterns. amongst them are the cancer recovery action network, the national cancer Alliance, the national Committee for Volunteer Firefighters, the American cops Alliance, the countrywide Coalition for Disabled Veterans and a couple of in a similar fashion named agencies, which all pay a network of loosely affiliated groups.

Eric Friedman, head of Maryland’s 1st viscount montgomery of alamein County branch of purchaser insurance plan, has spent the remaining two years unraveling these networks. In 2019, he busted a ring of scam PACs, and requested the FEC to investigate a group referred to as the Breast cancer health Council. Friedman likened the task to an “well-nigh impossible” video game of whack-a-mole, and spoke of his small research group had also cited that companies have shifted from FEC-registered PACs to 527s.

“Scammers are suave and normally relocating. So it seems like the trajectory begun as phony charities, who then determined they had been working as phony FEC agencies, and now the existing transition—simply in time for Halloween, I guess—is to be a phony PAC registered with the IRS as an alternative of with the FEC,” Friedman observed.

asked why these organizations have made the new shift, Friedman stated it changed into complex, “but the wanting it's that it’s simpler to hide what they’re doing, so we’re now that part of the rip-off.”

“The difficulty here is that the donors may also have thought it became going to charity, but because the name script doesn’t say that, it raises a jurisdictional situation. however, if it’s fraud, it’s fraud.”

— Lloyd Mayer, nonprofit legislation expert at the tuition of Notre Dame legislation school

Lloyd Mayer, a nonprofit legislation professional at the college of Notre Dame legislation college, defined why the exchange poses a new hurdle.

“The obtrusive intent to stream far from being a federal political committee to a 527 is the FEC really has a full workforce seem to be in any respect reports which are filed. The IRS may do this in concept, however they don’t,” Mayer observed, noting that the attainable IRS workforce—already stretched thin—is “an order of magnitude” smaller for this work.

“no person is asking to see if the filings make feel, if the mathematics is correct, if the numbers are semi-accurate,” he brought. “You may coloration them, lie, misrepresent, fudge, make it hard to see.”

Phil Hackney, a nationally diagnosed nonprofit legislations knowledgeable on the tuition of Pittsburgh school of law, referred to he is most commonly panic about the contrary scheme—political agencies posing as nonprofits—and had certainly not viewed this strategy.

“I don’t know of anybody looking at the query of a person the use of a 527 as a automobile to carry out a scam. It’s in fact challenging to claim whatever thing about it, because you don’t have a physique of law addressing automobiles being used during this method, and i’m no longer certain in case you might use tax law to crack down,” Hackney referred to.

but he cited that the Federal change commission and state attorneys conventional might also have jurisdiction “regarding consumer activity protections and possible wire fraud,” an observation shared by diverse campaign finance and nonprofit legislation consultants.

Mayer agreed that these companies appear to have narrowed down a effortless legal grey zone. “They discovered a scam, and that they got caught, and they moved to an extra area,” he observed.

“here is exactly the organizational structure the FTC has long past after within the charity area—the usage of vets, police, toddlers with cancer as the enchantment. It’s the identical community of corporations moving jurisdictions through the years,” he referred to. “The issue right here is that the donors may have thought it became going to charity, however because the call script doesn’t say that, it raises a jurisdictional difficulty. despite the fact, if it’s fraud, it’s fraud.”

About half the funds the ABCC has raised considering the fact that 2019 came visiting the primary six months of 2021—$1.4 million, all from small donors who've given below $200. That capability the community didn’t have to demonstrate any advice about those donors, and that as a minimum 6,950 unknown individuals have contributed to the community this yr.

however over these same six months, the ABCC spent practically every dollar it raised. truly, it shelled out all however $1,882 of its income in that length—all to a handful of lately created fundraising groups. The neighborhood’s IRS filings show the equal pattern over the route of two years.

none of the payments are identified as politically related, both, and they don’t go to any recognizable breast cancer advocacy organizations.

many of the companies that receive the money are difficult to hint with anything wanting a court docket order, but now not all of them.

Our investigation became capable of connect some of these companies to commonly used scammers. The bigger community reaches more than a dozen states, together with Florida, New Jersey, Georgia, Nevada, Texas, Ohio, Indiana and Tennessee. through the years, these groups have netted an untold amount of money—in the tens of millions of bucks, if no longer greater—from sham organizations like the ABCC.

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

The ABCC web site does take care, besides the fact that children, to inform company that the neighborhood helps candidates who battle to keep away from breast melanoma. It’s just not clear who these candidates are. And the embedded informational video that makes these claims became produced with the aid of a corporation that the ABCC has not ever stated paying—however the creation apartment, Prohibition Productions, is run through a man who owns three different agencies that contract with the PAC. it's unclear who paid for the video, and how.

principally, lots of the ABCC’s fundraising contractors endure ties to serial telemarketer Mark Gelvan, who just final September a federal court docket discovered guilty of using his sprawling company, Outreach Calling, to run a charity scam that bilked donors out of thousands and thousands. Gelvan, who initially hails from New Jersey however now resides in Florida, received hit with a $56 million excellent for that operation, and become banned from charity fundraising. in reality, one of the crucial companies is registered to one in every of Gelvan’s co-defendants, who turned into additionally fined and barred from charity fundraising.

however the judgment contained a conspicuous carveout that allowed them to proceed to raise cash for political groups—they just can’t misinform their donors.

The each day Beast has spoken to greater than two dozen scam PAC donors over the final year, some of whom gave to corporations which have paid massive sums to agencies related to this equal community. the entire donors spoke of they believed they were giving to a charity.

Gelvan did not reply to diverse requests for comment.

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