Voluntary Compliance and Self-Assessed Tax: Clarifying "Collected Proceeds" in Whistleblower Award Determinations
The United States Tax Court, in its recent memorandum opinion Whistleblower 11099-13W v. Commissioner, T.C. Memo. 2026-5, addressed a pivotal question for tax professionals regarding the definition of "collected proceeds" under Internal Revenue Code (I.R.C.) § 7623(b). The case centers on whether a whistleblower is entitled to an award when a taxpayer, allegedly prompted by an IRS investigation, voluntarily changes its accounting method and self-reports additional tax on original returns.
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