The Internal Revenue Service announced on May 16, 2019 a key advancement
in how it identifies its biggest and most complex large corporations. The IRS's Large Business and International Division (LB&I)
began a new application of data analytics for determining the population of its
largest and most complex corporate taxpayers. This new Large Corporate
Compliance (LCC) program replaces the Coordinated Industry Case (CIC) program
and covers compliance oversight for LB&I’s largest corporate taxpayers. LCC
is one of LB&I’s portfolio of compliance programs.
LCC employs automatic application of the large case pointing criteria to determine the LCC population. For example, pointing criteria include such items as gross assets and gross receipts. In the past, this was done on a manual, localized basis. Automated pointing allows a more objective determination of the taxpayers that should be part of the population.
The LCC program further improves
LB&I's ability to efficiently focus its resources on noncompliance.
LCC works in tandem with LB&I agents and examiners who apply their experience and expertise in undertaking compliance actions and determining compliance treatment streams of the biggest and most-complex corporate taxpayers. Each enhances the other.
The program includes continuous improvement using an agile model principle to continually monitor and improve based on feedback from stakeholders including field teams, practice networks, and data scientists.
LCC employs automatic application of the large case pointing criteria to determine the LCC population. For example, pointing criteria include such items as gross assets and gross receipts. In the past, this was done on a manual, localized basis. Automated pointing allows a more objective determination of the taxpayers that should be part of the population.
After The Population Is Determined, Data Analytics Is Used To Identify The Returns That Pose The Highest Compliance Risk.
LCC works in tandem with LB&I agents and examiners who apply their experience and expertise in undertaking compliance actions and determining compliance treatment streams of the biggest and most-complex corporate taxpayers. Each enhances the other.
The program includes continuous improvement using an agile model principle to continually monitor and improve based on feedback from stakeholders including field teams, practice networks, and data scientists.
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