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Advisory Committee on Tax Exempt and Government Entities (ACT ...

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<strong>Government</strong>al Relati<strong>on</strong>ship <strong>and</strong> Communicati<strong>on</strong> Between the Internal Revenue Service <strong>and</strong> Indian Tribal <strong>Government</strong>sFSLG newsletter, can be subscribed to by clicking <strong>on</strong> a link <strong>on</strong> the IRS website. This isnot the case with the ITG newsletter, which can <strong>on</strong>ly be obtained by first calling or e-mailing the IRS to request automatic receipt or by checking the website regularly for itsposting.ITG Website: ITG maintains an extensive website at . Several Tribes use this website for research <strong>on</strong> tax issues affectingthem. Therefore, it is important that the IRS keep the website up to date <strong>on</strong> all taxmatters.G. IRS C<strong>on</strong>tacts with Tribal <strong>Government</strong>s at Points Outside ITGAs noted above, there are IRS pers<strong>on</strong>nel outside of ITG who have c<strong>on</strong>tacts with Tribal<strong>Government</strong>s, principally SB/SE pers<strong>on</strong>nel who perform BSA examinati<strong>on</strong>s <strong>and</strong>Collecti<strong>on</strong> pers<strong>on</strong>nel. The IRS protocols for its day-to-day dealings with Tribes apply toall IRS pers<strong>on</strong>nel, not just those in ITG. In additi<strong>on</strong>, in order to ensure that the protocolsare satisfied <strong>and</strong> that the government-to-government relati<strong>on</strong>ships between the IRS <strong>and</strong>the Tribes are respected <strong>and</strong> preserved, the Internal Revenue Manual statesemphatically in a number of places that IRS c<strong>on</strong>tacts involving Tribes must becoordinated with ITG. For example, the Internal Revenue Manual states that “ITGSpecialists must stay involved in material interacti<strong>on</strong>s between the tribal government<strong>and</strong> the IRS” (IRM § 4.86.1.1.3), “[t]he [ITG] office… coordinates all aspects of taxadministrati<strong>on</strong> as it impacts Indian Tribes” (IRM § 5.1.12.21), “[t]he ITG office serves asthe central point for all Service c<strong>on</strong>tacts with Federally recognized Indian tribes” (id.),“ITG has been vested with the resp<strong>on</strong>sibility of ensuring that the Service is incompliance with the various Executive Orders outlining the relati<strong>on</strong>ships <strong>and</strong> protocolsrequired in working with Indian tribes” (id.), Collecti<strong>on</strong> officers must “[c]<strong>on</strong>tact the localarea ITG Group Manager before making initial c<strong>on</strong>tact <strong>on</strong> Indian tribal governmentaccounts. The ITG Manager will assign an ITG specialist to work with the RevenueOfficer” (IRM § 5.1.12.21.3 (emphasis in original)), <strong>and</strong> “[s]umm<strong>on</strong>ses issued <strong>on</strong> a tribalgovernment or a third party for informati<strong>on</strong> c<strong>on</strong>cerning a tribal government must beapproved by the ITG Director before being served” (id.).We are c<strong>on</strong>cerned about reports suggesting that some IRS pers<strong>on</strong>nel outside of ITGeither are not aware of the protocols <strong>and</strong> their resp<strong>on</strong>sibility to coordinate with ITG, orprefer to flout these obligati<strong>on</strong>s. We are aware of <strong>on</strong>e instance recently, for example, inwhich an IRS Collecti<strong>on</strong> agent <strong>and</strong> his manager arrived unannounced at a Tribal<strong>Government</strong> headquarters prepared to serve a summ<strong>on</strong>s <strong>on</strong> the Tribe in c<strong>on</strong>necti<strong>on</strong>with a collecti<strong>on</strong> matter involving a Tribal member, with no advance warning or evenc<strong>on</strong>temporaneous notice to the Tribe’s authorized representative. We also are awarethat SB/SE pers<strong>on</strong>nel performing BSA examinati<strong>on</strong>s have made far-reaching requestsfor informati<strong>on</strong> <strong>and</strong> documents that appear to go well bey<strong>on</strong>d the appropriate scope forsuch examinati<strong>on</strong>s, suggesting a failure to coordinate with ITG.ADVISORY COMMITTEE ON TAX EXEMPT AND GOVERNMENT ENTITIES (<strong>ACT</strong>) June 11, 2008 13

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