**Partnership Audit Rules (BBA) & Compliance

This lesson delves into the complex world of the Bipartisan Budget Act (BBA) audit rules governing partnerships, and the compliance requirements associated with them. You'll gain a thorough understanding of the BBA framework, including its impact on partnership audits, the roles of the partnership representative, and the procedures for administrative adjustment requests. We will also explore the practical aspects of compliance, focusing on best practices for avoiding penalties and efficiently managing audit processes.

Learning Objectives

  • Identify the key differences between the BBA rules and the prior TEFRA rules.
  • Explain the role and responsibilities of the Partnership Representative (PR).
  • Describe the procedures for an IRS audit under the BBA, including the assessment and payment of imputed underpayment.
  • Analyze strategies for mitigating the impact of BBA audits and ensure partnership compliance.

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Lesson Content

BBA vs. TEFRA: A Comparative Overview

Before the Bipartisan Budget Act (BBA) of 2015, partnership audits were governed by the Tax Equity and Fiscal Responsibility Act (TEFRA). The BBA significantly changed the landscape. TEFRA involved the Tax Matters Partner (TMP), an individual, whereas BBA introduces the Partnership Representative (PR), which can be an entity. TEFRA typically assessed adjustments at the partner level, while BBA assesses at the partnership level, with the partnership ultimately responsible for any resulting tax liability. The BBA framework streamlined the audit process by allowing the IRS to assess and collect tax at the partnership level, although the partners ultimately bear the tax burden. Let's look at a quick comparison:

Feature TEFRA (Pre-2018) BBA (Post-2017) Key Person Tax Matters Partner (TMP) Partnership Representative (PR) Assessment Level Partner Level Partnership Level Payment of Tax Partners individually liable Partnership is liable, then allocated to partners Audit Process More Complex, Partner-by-partner Streamlined, Focuses on the Partnership

Example: Consider a partnership with several partners. Under TEFRA, if the IRS identified an error, it would audit each partner individually, requiring significant time and resources. Under BBA, the IRS audits the partnership, and the partnership itself pays the resulting tax, simplifying the process and making it more efficient.

The Partnership Representative (PR)

The PR is the single point of contact for the IRS during a partnership audit. The PR can be a partner or any other person or entity, but must have a substantial presence in the U.S. and be designated by the partnership. The PR has significant power, including the authority to bind the partnership and its partners. Crucially, the PR can waive certain rights, extend the statute of limitations, and make decisions about the audit process, which directly affect partners.

Key Responsibilities of the PR:

  • Receiving and responding to IRS notices.
  • Representing the partnership in all IRS proceedings.
  • Making decisions regarding audit strategy and settlement.
  • Ensuring compliance with the BBA rules.
  • Keeping partners informed of all developments.

Selecting the PR:

The selection of the PR is crucial. It is highly recommended to select the PR when forming the partnership and include the details in the partnership agreement. Consider these factors when selecting the PR:

  • Experience: Should have experience with tax law and partnership audits.
  • Availability: Must be able to dedicate time and resources to the role.
  • Trustworthiness: Essential for representing the partners' interests effectively.
  • Understanding of Partner Needs: The PR should represent the best interests of all partners.

Changing the PR: The PR can be changed by the partnership, although there are specific procedures involved.

BBA Audit Procedures and Key Timelines

The BBA audit process involves several stages, each with specific deadlines and procedures:

  1. IRS Audit Notice: The IRS notifies the partnership of the audit and the adjustments proposed. They will reach out to the PR.
  2. Partnership Response: The partnership, through the PR, can either agree to the adjustments, protest them, or request a conference with the IRS.
  3. IRS Review and Determination: The IRS reviews the partnership's response and makes a final determination.
  4. Imputed Underpayment Calculation: If adjustments result in an underpayment, the IRS calculates the imputed underpayment, the total amount that the partnership owes, based on the tax year the errors took place in.
  5. Payment and Partner Adjustments: The partnership is assessed the imputed underpayment. The partnership can elect to pay the underpayment or push it out to the partners via amended K-1s. The partnership is generally liable for payment, with a few exceptions.

Timeline: The IRS generally has three years from the filing date of the partnership return to assess the imputed underpayment.

Administrative Adjustment Request (AAR): The partnership can file an AAR to request adjustments to a previously filed return. This initiates a process similar to an IRS audit.

Practical considerations:

  • Statute of limitations: The IRS can extend the statute of limitations to audit a partnership. The PR's actions impact this.
  • Burden of Proof: The burden of proof is generally on the partnership to substantiate its positions.
  • Settlement: The PR can negotiate a settlement with the IRS, which may involve adjustments to tax liability.

Mitigation Strategies and Compliance Best Practices

Partnerships can take proactive steps to minimize the impact of BBA audits and ensure compliance:

  • Strong Partnership Agreement: Clearly define the PR's role, responsibilities, and decision-making authority. Specify how audit-related costs will be handled and the partners' roles.
  • Robust Internal Controls: Implement and maintain internal controls to ensure accurate financial reporting and minimize errors.
  • Proactive Tax Planning: Engage in proactive tax planning to identify and address potential tax issues. Document all decisions and rationale.
  • Partner Communication: Establish clear communication channels to keep partners informed of audit developments and their potential impact.
  • Documentation: Maintain thorough and organized documentation of all transactions and tax positions.
  • Professional Advice: Seek professional advice from tax attorneys or consultants experienced in partnership tax law and BBA compliance.
  • Timely Response: Respond promptly and effectively to all IRS notices and inquiries.
  • Assess Impact of Underpayment: Analyze the impact of an underpayment to determine the best course of action (pay the underpayment or push it out to the partners, as explained in section 3).

By following these best practices, partnerships can effectively manage the BBA audit process, minimize the risk of penalties, and protect their partners' interests.

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