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Telephone Access Remained Low, and Taxpayer Service and Enforcement 
Could Be Improved' which was released on January 11, 2010. 

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Report to Congressional Requesters: 

United States Government Accountability Office: 
GAO: 

December 2009: 

2009 Tax Filing Season: 

IRS Met Many 2009 Goals, but Telephone Access Remained Low, and 
Taxpayer Service and Enforcement Could Be Improved: 

GAO-10-225: 

GAO Highlights: 

Highlights of GAO-10-225, a report to congressional requesters. 

Why GAO Did This Study: 

The Internal Revenue Service’s (IRS) filing season is an enormous 
undertaking that includes processing tax returns, issuing refunds, and 
responding to taxpayer questions. IRS’s efforts to ensure compliance 
begin during the filing season. GAO was asked to assess IRS’s 2009 
filing season performance, identify ways to reduce taxpayers’ use of 
short-term, high-interest refund anticipation loans (RAL) offered by 
paid preparers or banks, and identify ways to enhance compliance 
during processing. GAO analyzed IRS performance data, reviewed IRS 
operations, interviewed IRS officials, and reviewed its compliance 
programs and relevant statutes. 

What GAO Found: 

IRS processed 139 million returns and issued $298 billion in refunds 
as of October 2, 2009. Electronic filing, which provides IRS with 
significant cost savings and taxpayers with faster refunds, increased 
to 68 percent of all returns filed. While taxpayers’ access to 
telephone assistors was better than last year, it remained lower than 
in 2007 in part because of calls about tax law changes. Compared to 
2005 through 2007, IRS reduced its goal for assistor answered calls in 
2009 and set its 2010 goal at 71 percent. Despite heavy call volume, 
the accuracy of IRS responses to taxpayers’ questions remained above 
90 percent. IRS started a major data collection effort on why 
taxpayers call, but lacks a plan to analyze the data and improve 
telephone service. 

Table: Filing Season Workload and Performance Indicators, 2007 to 2009: 

Individual tax returns processed: Electronic returns; 
2007: 79 million; 
2008[A]: 88 million; 
2009: 94 million. 

Individual tax returns processed: Paper returns; 
2007: 56 million; 
2008[A]: 54 million; 
2009: 45 million. 

Individual tax returns processed: Total; 
2007: 135 million; 
2008[A]: 142 million; 
2009: 139 million. 

Refunds: Total refunds; 
2007: 104 million; 
2008[A]: 105 million; 
2009: 109 million. 

Refunds: Dollar amount of refunds (in billions); 
2007: $234 billion; 
2008[A]: $247 billion; 
2009: $298 billion. 

Refunds: Refund anticipation loans; 
2007: 10 million; 
2008[A]: 10 million; 
2009: 8 million. 

Source: GAO analysis of IRS data. 

[A] Excludes 9 million stimulus-only returns. 

[End of table] 

According to IRS, issuing refunds faster reduces taxpayers’ use of 
RALs, high-interest loans made by paid tax preparers or banks in 
anticipation of a refund. Issuing refunds is a joint effort by IRS, 
Treasury’s Financial Management Service, which checks for non-tax debt 
owed to the federal government, and the Automated Clearing House, 
which distributes funds. However, IRS has not coordinated extensively 
with them to expedite refunds. Further, IRS has not studied the use of 
debit cards for unbanked taxpayers, which could also reduce taxpayers’ 
use of RALs by providing faster and more secure refunds. 

IRS automatically identifies and corrects select types of errors while 
processing tax returns. It could also correct tax returns that claim 
the Hope credit, a tax credit to help offset qualified education 
expenses, for longer than the number of years allowed. However, IRS 
lacks the authority to use prior years’ tax return information for 
this purpose. Also, information reported by education institutions to 
taxpayers and IRS about qualifying educational expenses on the Form 
1098-T is confusing for taxpayers and not useful for IRS. Many 
institutions report the total amount billed to students, but not what 
is actually paid after taking into account scholarships and grants. 
This results in some taxpayers under-claiming benefits, while others 
over-claim. Finally, because Form 1098-T can show the amount billed, 
which may not be the amount paid, IRS is unable to use the information 
to automatically verify taxpayers’ claims for the credit through its 
computerized matching program. 

What GAO Recommends: 

GAO suggests that Congress provide IRS authority to automatically 
verify the number of years the Hope education tax credit is claimed. 

GAO makes 7 recommendations including that IRS develop a plan to 
analyze its telephone data, work with the other entities involved in 
issuing refunds to improve timeliness, determine the feasibility of 
offering debit cards for refunds, and revise the Form 1098-T to 
improve its usefulness to taxpayers and IRS. 

In response, the IRS Deputy Commissioner agreed with five 
recommendations and described some steps the agency is taking on the 
other two. 

View [hyperlink, http://www.gao.gov/products/GAO-10-225] or key 
components. For more information, contact James White at (202) 512-
9110 or whitej@gao.gov. 

[End of section] 

Contents: 

Letter: 

Scope and Methodology: 

Background: 

Access to Telephone Assistors Remained Low, and IRS Has a Limited 
Understanding of Why Taxpayers Call and Has Not Clearly Integrated TAB 
into Its Planning Documents: 

RAL Usage Declined in 2009 and IRS Could Further Reduce Usage by 
Issuing Faster Refunds: 

During Returns Processing IRS Could Reduce Taxpayer Confusion and 
Better Ensure Compliance with Higher Education Tax Benefits: 

Conclusions: 

Matters for Congressional Consideration: 

Recommendations for Executive Action: 

Agency Comments and Our Evaluation: 

Appendix I: Comments from the Internal Revenue Service: 

Appendix II: IRS's Existing and Suggested Math Error Authority for 
Enhancing Compliance: 

Appendix III: IRS's Processing Performance Relative to 2004 Through 
2008 and 2009 Goals: 

Appendix IV: IRS Toll-Free Calls and Percentage of Callers Seeking and 
Receiving Live Assistance for 2009 and 2008: 

Appendix V: Key Facts on Selected Tax Benefits for Higher Education: 

Appendix VI: GAO Contact and Staff Acknowledgments: 

Tables: 

Table 1: Individual Income Tax Returns and Refunds Processed, 2005 
through 2009: 

Table 2: Individual Income Tax Returns and Refunds Processed on CADE, 
2006 through 2009: 

Table 3: IRS Telephone Service Goals and Performance, 2005 through 
2010 Filing Seasons: 

Table 4: Calls to IRS by Call Type, 2005 through 2009: 

Table 5: IRS Telephone Assistor Accuracy Performance, 2005 through 
2009: 

Table 6: IRS Web Site Use, 2005 through 2009: 

Table 7: RALs and RACs Requested by Taxpayers, 2007 through 2009: 

Table 8: IRS's Existing and Suggested MEA: 

Table 9: IRS Processing Performance, Fiscal Years 2005 through 2009: 

Table 10: Select Tax Benefits for Higher Education--Tax Year 2008: 

Figures: 

Figure 1: Income Tax Refund Processing Time line for Electronically 
Filed Returns with Direct Deposit by Processing Component: 

Figure 2: Weekly Toll-free Calls and Percentage of Callers Seeking and 
Receiving Live Assistance from January 1 to June 28, 2009, and June 
30, 2009: 

Abbreviations: 

ACH: Automated Clearing House: 

AGI: adjusted gross income: 

BSM: Business System Modernization: 

EITC: Earned Income Tax Credit: 

FDIC: Federal Deposit Insurance Corporation: 

FMS: Financial Management Service: 

IMF: individual master file: 

IRA: Individual Retirement Accounts: 

ITLA: Interactive Tax Law Assistant: 

IRS: Internal Revenue Service: 

MEA: math error authority: 

PIN: personal identification number: 

QSS: Quality Statistical Sample: 

RAC: refund anticipation check: 

RAL: refund anticipation loan: 

TAB: Taxpayer Assistance Blueprint: 

TIGTA: Treasury Inspector General for Tax Administration: 

TIN: taxpayer identification number: 

[End of section] 

United States Government Accountability Office: 
Washington, DC 20548: 

December 10, 2009: 

The Honorable Max Baucus: 
Chairman: 
The Honorable Charles E. Grassley: 
Ranking Member: 
Committee on Finance: 
United States Senate: 

The Honorable John Lewis: 
Chairman: 
The Honorable Charles W. Boustany, Jr. 
Ranking Member: 
Subcommittee on Oversight: 
Committee on Ways and Means: 
House of Representatives: 

The Internal Revenue Service's (IRS) 2009 filing season is an enormous 
and critical undertaking.[Footnote 1] Last filing season, IRS 
processed over 140 million individual income tax returns and issued 
over 100 million refunds. IRS also answered tens of millions of 
taxpayer questions through telephone, Web site, and face-to-face 
assistance. During each of the last two filing seasons, IRS has been 
called upon to quickly implement complex tax law changes, including 
economic stimulus policies that have resulted in unexpected increases 
in call volume and created new taxpayer compliance challenges and 
workload.[Footnote 2] 

IRS's filing season performance also has indirect effects on 
taxpayers. For example, timely issuance of refunds can reduce taxpayer 
demand for refund anticipation loans (RAL), which are short-term, 
often high-interest loans offered by tax preparers or banks that allow 
taxpayers to receive their refund cash quickly, sometimes within the 
same day.[Footnote 3] The filing season is also the time IRS begins 
its enforcement efforts with its math error program, in which IRS uses 
its computers to identify errors during processing, such as 
calculation mistakes or omitted or inconsistent entries. Where IRS has 
the statutory authority, also known as math error authority (MEA), it 
corrects certain errors before interest is owed by taxpayers, and 
helps taxpayers and IRS avoid burdensome audits.[Footnote 4] 

Earlier this year, we provided an interim assessment of IRS's 2009 
filing season performance, made recommendations to improve IRS's 2010 
filing season performance, and made suggestions to Congress to better 
ensure compliance, when tax returns are being processed, with the 
first-time homebuyer tax credit.[Footnote 5] In light of its 
importance, the Chair and Ranking Member of Subcommittee on Oversight, 
Committee on Ways and Means, House of Representatives, and the Chair 
and Ranking Members of the Senate Finance Committee asked us to 
provide an overall assessment of IRS's 2009 filing season performance. 
For this report, our objectives were to: 

1. assess IRS's filing season performance compared to 2009 goals and 
prior years' performance; 

2. identify opportunities for IRS to reduce taxpayers' reliance on 
RALs and Refund Anticipation Checks (RAC); and: 

3. identify opportunities, based on prior GAO reports such as those on 
higher education tax benefits, for IRS to enhance taxpayer compliance 
during returns processing. 

Scope and Methodology: 

To meet our three objectives, we took the following steps. 

* Reviewed and analyzed IRS reports, testimonies, budget submissions, 
and other documents and data, including performance and workload data, 
and compared these to IRS's goals and past performance to identify 
trends and anomalies in performance. We also tested for statistically 
significant differences between annual performance rates based on IRS 
sample data. 

* Observed operations at the Joint Operations Center (which manages 
IRS's telephone services) and IRS's walk-in sites in Atlanta, Ga. and 
Baltimore, Md. and a volunteer site in Washington, D.C. We selected 
these particular offices for a variety of reasons, including the 
location of key IRS managers; 

* Analyzed staffing data for paper and electronic filing, telephone 
assistance, and walk-in assistance. 

* Reviewed information from other organizations who compile 
information pertinent to our objective, such as Keynote Systems, which 
evaluates Internet performance. 

* Reviewed IRS reports and analyzed IRS data on RALs and RACs to 
identify trends and opportunities to reduce taxpayers' reliance on 
them. 

* Reviewed IRS data and analyzed methods IRS currently employs to 
identify taxpayer compliance with eligibility requirement for higher 
education tax benefits. 

* Reviewed MEA-related statutes to determine IRS's existing and 
possible new authorities. 

* Interviewed IRS officials about current operations, trends, and 
significant factors and initiatives that affected performance; efforts 
to reduce reliance on RALs and RACs; and monitoring and oversight of 
compliance issues, including higher education credit claims. 

* Interviewed representatives of some of the larger private and 
nonprofit organizations that prepare tax returns, including H&R Block 
and trade organizations that represent both individual paid preparers, 
tax preparation companies, and professional associations, including 
the American Institute of Certified Public Accountants. 

* Reviewed Treasury Inspector General for Tax Administration (TIGTA) 
reports and interviewed a TIGTA official about IRS's performance and 
initiatives. 

* Reviewed prior GAO reports and followed up on our recommendations 
made in filing season and related reports. 

This report discusses numerous filing season performance measures and 
data covering the quality, accessibility, and timeliness of IRS's 
services that, based on our prior work, we consider sufficiently 
objective and reliable for purposes of this report. To the extent 
possible, we corroborated information from interviews with 
documentation and data and where not possible, we attribute the 
information to IRS officials in our report. We reviewed IRS 
documentation, interviewed IRS officials about computer systems and 
data limitations, and compared those results to our standards of data 
reliability.[Footnote 6] Data limitations are discussed where 
appropriate. Finally, we conducted our work primarily at IRS 
headquarters including at the Small Business/Self-Employed Division in 
Washington, D.C., and the Wage and Investment Division headquarters in 
Atlanta, Ga. as well as the other sites mentioned earlier. We 
conducted this performance audit from January 2009 through December 
2009 in accordance with generally accepted government auditing 
standards. Those standards require that we plan and perform the audit 
to obtain sufficient, appropriate evidence to provide a reasonable 
basis for our findings and conclusions based on our audit objectives. 
We believe that the evidence obtained provides a reasonable basis for 
our findings and conclusions based on our audit objectives. 

We received technical and written comments on a draft of this report, 
which we addressed. A letter from the IRS Deputy Commissioner for 
Services and Enforcement providing those comments is reprinted in 
appendix I. In that letter, the Deputy Commissioner explicitly agreed 
with five of our recommendations and described the steps IRS is taking 
with respect to our two other recommendations. 

Background: 

Most taxpayers file their individual income tax returns 
electronically, although millions still mail paper returns. Compared 
to paper, electronic filing allows taxpayers to receive refunds 
faster, is less prone to transcription and other errors, and provides 
IRS with significant cost savings. Last year we reported that IRS 
estimated it used 39 percent fewer staff years for processing tax 
returns in 2007 than in 1999 for a savings of $85 million.[Footnote 7] 

* The Free File program provides taxpayers below an income ceiling 
with access to a consortium of tax preparation companies that offer 
free on-line tax preparation and filing services for qualifying 
taxpayers.[Footnote 8] 

* CADE, part of IRS's high-risk Business System Modernization program 
(BSM), is intended to eventually replace IRS's antiquated Master File 
legacy processing system and facilitate faster refund processing and 
provide IRS with more up-to-date account information.[Footnote 9] 

Primarily through its telephone, Web site, and, to a much lesser 
extent, through its face-to-face assistance, IRS also provides tax law 
and account assistance, limited return preparation, tax forms and 
publications, and outreach and education. 

* IRS staff provides assistance at 401 walk-in sites where taxpayers 
can receive basic tax law assistance, receive assistance with their 
accounts, and have returns prepared by IRS if their annual income is 
$42,000 or less. 

* IRS also has volunteer partners that staff over 12,000 sites, which 
help serve traditionally underserved taxpayer segments, including 
elderly, low-income, and disabled taxpayers, and taxpayers with 
limited English proficiency. 

IRS developed the Taxpayer Assistance Blueprint (TAB), a 5-year plan 
designed to assist the agency in providing, evaluating, and improving 
taxpayer services at lower cost. TAB also provided estimates of the 
cost-per-service contact for different types of taxpayer services and 
conducted preliminary research about the effect of taxpayer service on 
compliance. IRS delivered an update of TAB to Congress in October 2009. 

Millions of taxpayers who do not want to wait for their tax refunds 
from IRS choose to obtain RALs, which are offered by paid preparers or 
banks to taxpayers in connection with federal and/or state tax refunds. 

* RALs are short-term, high interest rate bank loans. We found that 
the annual percentage rate on RALs can be over 500 percent, RALs offer 
taxpayers the benefit of receiving cash quickly based on an expected 
refund.[Footnote 10] Combined with tax preparation fees, RALs may 
considerably reduce a taxpayer's refund. However, RALs remain popular, 
especially among low-income taxpayers. 

* RAL providers might also offer RACs, which are not loans, but 
instead are a refund delivery option where IRS direct deposits a 
refund into a temporary account set up by a financial institution, 
which withdraws the tax return preparation fee, and then makes the 
remaining funds available to the taxpayer. RALs and RACs allow 
taxpayers to pay return preparation and fees out of their refunds. 

IRS uses its many tools to identify and correct noncompliance, whether 
intentional or unintentional. 

* Over the years, Congress granted IRS statutory authority to cover 
specific areas so that the agency could correct tax return errors 
during processing, including calculation errors and entries that are 
inconsistent or exceed statutory limits, without having to issue the 
taxpayer a statutory notice of deficiency (see app. II for details). 
Math error checks are automated and low-cost relative to audits. 
Prompt compliance checks, such as math error checks, increase the 
likelihood of IRS collecting all or part of the amount owed.[Footnote 
11] However, IRS must be granted MEA from Congress by statute for 
specific purposes, and as noted above, we recently suggested areas 
where IRS could benefit from new authorities. 

* IRS gets most of the information returns during the filing season. 
These returns are provided by third parties, such as employers, banks, 
or educational institutions, file returns with IRS and taxpayers that 
provide information on a variety of taxpayer transactions. IRS tries 
to match information from the information returns filed by third 
parties against taxpayers' income tax returns to see if taxpayers have 
filed returns and reported their income and expenses. This approach 
tends to lead to high levels of taxpayer compliance. 

Access to Telephone Assistors Remained Low, and IRS Has a Limited 
Understanding of Why Taxpayers Call and Has Not Clearly Integrated TAB 
into Its Planning Documents: 

As of October 2, 2009, IRS processed 139 million individual income tax 
returns. As shown in table 1, 94 million taxpayers (68 percent) 
electronically filed their returns compared to 88 million (62 percent) 
last year, excluding the 9 million stimulus-only returns.[Footnote 12] 
Electronic filing provides IRS with significant cost savings--IRS 
estimates the cost savings of electronic filing to be $2.71 per return 
over the costs in 2008. It helps taxpayers to receive their refunds 
faster and aids IRS in achieving the electronic filing goal of having 
80 percent of all federal tax and information returns filed 
electronically by 2012.[Footnote 13] IRS issued approximately 109 
million refunds, up 4 million from last year, for $298 billion. 
Approximately 66 percent of all refunds were directly deposited, 9 
percent more than last year. This increase is important, because 
direct deposit is faster, more convenient for taxpayers, and less 
expensive for IRS than mailing paper checks. 

Table 1: Individual Income Tax Returns and Refunds Processed, 2005 
through 2009: 

Individual tax returns processed: Electronic returns; 
2005: 65 million; 
2006: 72 million; 
2007: 79 million; 
2008[A]: 88 million; 
2009: 94 million; 
Percentage change from 2008 to 2009: 6%. 

Individual tax returns processed: Paper returns; 
2005: 62 million; 
2006: 59 million; 
2007: 56 million; 
2008[A]: 54 million; 
2009: 45 million; 
Percentage change from 2008 to 2009: -16%. 

Individual tax returns processed: Total; 
2005: 127 million; 
2006: 131 million; 
2007: 135 million; 
2008[A]: 142 million; 
2009: 139 million; 
Percentage change from 2008 to 2009: -2%. 

Refunds: Total refunds; 
2005: 99 million; 
2006: 99 million; 
2007: 104 million; 
2008[A]: 105 million; 
2009: 109 million; 
Percentage change from 2008 to 2009: 4%. 

Refunds: Dollar amount of refunds; 
2005: $210 billion; 
2006: $219 billion; 
2007: $234 billion; 
2008[A]: $247 billion; 
2009: $298 billion; 
Percentage change from 2008 to 2009: 20%. 

Refunds: Average refund amount; 
2005: $2,126; 
2006: $2,206; 
2007: $2,259; 
2008[A]: $2,347; 
2009: $2,735; 
Percentage change from 2008 to 2009: 16%. 

Refunds: Number of direct deposits; 
2005: 53 million; 
2006: 56 million; 
2007: 61 million; 
2008[A]: 66 million; 
2009: 72 million; 
Percentage change from 2008 to 2009: 9%. 

Source: GAO analysis of IRS data. 

Note: Data from January 1 through September 30, 2005, September 29, 
2006, September 28, 2007, September 26, 2008, and October 2, 2009. 

[A] Excludes the 9 million stimulus-only returns processed by IRS as 
of September 26, 2008. 

[End of table] 

IRS attributes the increase in electronic filing, in part, to a 19 
percent increase in people filing from home computers, which may be 
related to the elimination of separate fees for electronic filing. 
[Footnote 14] According to IRS, the elimination of fees by some paid 
preparers also contributed to the decline in the Free File program--as 
of September 20, 2009, the number of taxpayers who filed through Free 
File decreased to 3 million, down 37 percent from last year. IRS also 
attributed part of the decrease to the migration of taxpayers to other 
free offers in the marketplace. The Free File program offered a new 
option this year, fillable forms, that allow taxpayers to download 
forms from IRS and fill them in on a home computer without using tax 
preparation software. About 270,000 taxpayers used this option. 

Finally, IRS met or exceeded its goals for six out of eight of the 
processing measures (see app. II for details). For example, IRS 
exceeded its goals for refund timeliness, and deposit timeliness and 
accuracy. The one measure where performance was significantly below 
IRS's goal and last year's level was the correspondence error rate, 
which is the percentage of incorrect notices and letters issued to 
taxpayers. According to IRS officials, this resulted from a high 
number of erroneous notices sent to taxpayers during the filing season 
related to the recovery rebate credit.[Footnote 15] In our interim 
report, we noted that millions of tax returns had these types of 
errors, which resulted in a delay in refund timeliness from 1 day to a 
week. IRS took actions to address the errors, including developing an 
automated tool to correct the errors more quickly.[Footnote 16] 

Work to Increase CADE Functionality Has Been Suspended While IRS 
Develops a New Strategy for Modernizing Taxpayer Accounts: 

IRS's CADE processed 40 million tax returns and 35 million refunds 
worth $59 billion. This accounts for about 29 percent of all returns 
processed. CADE processes returns and refunds between 1 and 8 days 
faster than legacy systems. Additionally, for the first time this 
year, CADE processed returns with payments to IRS--7 million returns 
with payments of $9 billion. 

Table 2: Individual Income Tax Returns and Refunds Processed on CADE, 
2006 through 2009: 

Returns processed; 
2006: 7 million; 
2007: 13 million; 
2008: 31 million; 
2009: 40 million; 
Percentage change from 2008 to 2009: 31%. 

Refunds issued; 
2006: 7 million; 
2007: 11 million; 
2008: 29 million; 
2009: 35 million; 
Percentage change from 2008 to 2009: 21%. 

Dollar amount of refunds issued; 
2006: $3 billion; 
2007: $12 billion; 
2008: $44 billion; 
2009: $59 billion; 
Percentage change from 2008 to 2009: 33%. 

Payments received[A]; 
2006: NA; 
2007: NA; 
2008: NA; 
2009: 7 million; 
Percentage change from 2008 to 2009: NA. 

Source: GAO analysis of IRS data. 

Note: Data from January 1 through mid-September. NA means not 
applicable. 

[A] Beginning in 2009, CADE has the capability of processing certain 
returns with payments. 

[End of table] 

After over 5 years and $400 million, CADE is only processing about 15 
percent of the functionality originally planned for completion by 
2012.[Footnote 17] In addition, each successive release of the system 
was expected to process more complex returns and several technical 
challenges had not been addressed. Given this, IRS estimated that full 
implementation of CADE would not be achieved until at least 2018 or 
possibly as late as 2028. As a consequence, IRS decided to stop 
development of new CADE functionality and rethink its strategy for 
modernizing individual taxpayer accounts to determine whether an 
alternative approach could deliver improvements sooner. IRS also 
stopped its plans for adding new functionality to a CADE-related 
system that allows its telephone assistors to access and work with 
taxpayer accounts. According to IRS officials, the need to enhance 
computer security and the availability of new technologies also 
influenced the decision to rethink the CADE strategy. 

Stopping CADE development has trade-offs in that IRS will not be able 
to materially increase the number of returns processed on CADE during 
the 2010 filing season, which, in turn, means that the number of 
taxpayers benefiting from faster refund processing will not increase. 
[Footnote 18] 

On the other hand, IRS's new strategy for modernizing individual 
taxpayer accounts is intended to address the risks and challenges of 
the initial approach. Importantly, IRS officials responsible for 
implementing this new strategy told us that they expect to provide all 
taxpayers with faster refund processing by the 2012 filing season. IRS 
plans to do this by continuing daily processing of the roughly 40 
million taxpayer accounts currently on CADE while converting the 
legacy Individual Master File system from weekly to daily processing 
for the roughly 100 million remaining accounts. IRS also plans to 
develop a new database that would be the single authoritative source 
of taxpayer account information and use the new database for daily 
processing by 2014. 

IRS established a program management office to guide the 
implementation of the new strategy and developed a preliminary road 
map and high-level cost estimates for the effort. It also defined the 
overall business benefits the strategy is expected to provide. IRS 
officials also stated that they are working on a more detailed plan 
for the strategy, including milestones, deliverables, and detailed 
costs for the first phase of the strategy and expect to have them 
completed in December. These documents as well as plans for fully 
implementing the new strategy are critical to justifying IRS's change 
in direction and we plan to evaluate them as part of the review of 
IRS's fiscal year 2010 Business Systems Modernization expenditure 
plan, which we recently initiated.[Footnote 19] 

Access to Telephone Assistors Remained Low for the Second Year in a 
Row and IRS Decreased Its 2010 Access Goal: 

As shown in table 3, taxpayers' access to IRS's telephone assistors 
was better than last year, but was below IRS's original goal for 2009 
and remains well below 2005 through 2007 performance. 

Table 3: IRS Telephone Service Goals and Performance, 2005 through 
2010 Filing Seasons: 

Percentage of callers seeking live assistance who received it: Actual; 
2005: 82; 
2006: 81; 
2007: 81; 
2008: 57; 
2009: 68; 
Fiscal year 2010: NA. 

Percentage of callers seeking live assistance who received it: Goal; 
2005: 82; 
2006: 82; 
2007: 82; 
2008: 82[A]; 
2009: 77[B]; 
Fiscal year 2010: 71. 

Average wait time goal (minutes); 
2005: 2.8; 
2006: 5; 
2007: 4.3; 
2008: 4.4; 
2009: 10; 
Fiscal year 2010: NA. 

Actual average wait time (minutes); 
2005: 4.3; 
2006: 3.9; 
2007: 4.6; 
2008: 8.6; 
2009: 8.4; 
Fiscal year 2010: NA. 

Source: GAO analysis of IRS data. 

Note: Data from January 1 through June 30. NA means not applicable. 

[A] IRS revised its original goal of 82 percent down to 74 percent 
because of high call volume due to stimulus-related questions. 

[B] IRS revised its original filing season goal of 77 percent down to 
67.8 percent because of high call volume from taxpayers requesting 
electronic filing authentication information and asking stimulus- 
related questions. 

[End of table] 

IRS reduced its 2009 goal for providing assistor services from the 
goals for 2005 through 2008, as shown in table 3. IRS initially set 
the fiscal year 2009 goal for the percentage of taxpayers seeking 
assistor service who actually received it at 77 percent.[Footnote 20] 
Perhaps more importantly, IRS reduced the goal for 2010 to 71 percent. 
According to IRS officials, the goals were reduced because of resource 
trade-offs related to call volume increases starting in 2008. 

As shown in table 4, IRS's call volume in 2008 and 2009 was 
substantially higher than in prior years. Although IRS received 40 
million fewer calls in 2009 than in 2008, the volume was still well 
above earlier years.[Footnote 21] While IRS's automated call systems 
answered an increasing number of calls, the number of calls abandoned 
by taxpayers, busy signals, and calls disconnected by IRS also went up 
substantially. This may have limited many taxpayers from reaching IRS 
assistors with questions. 

Table 4: Calls to IRS by Call Type, 2005 through 2009: 

Assistor calls answered; 
2005: 22 million; 
2006: 21 million; 
2007: 22 million; 
2008: 27 million; 
2009: 26 million; 
Percentage change from 2008 to 2009: -4%. 

Abandoned calls; 
2005: 11 million; 
2006: 12 million; 
2007: 13 million; 
2008: 34 million; 
2009: 21 million; 
Percentage change from 2008 to 2009: -38%. 

Busies and IRS disconnects; 
2005: 1 million; 
2006: 2 million; 
2007: 1 million; 
2008: 14 million; 
2009: 5 million; 
Percentage change from 2008 to 2009: -64%. 

Automated calls answered; 
2005: 23 million; 
2006: 22 million; 
2007: 21 million; 
2008: 43 million; 
2009: 25 million; 
Percentage change from 2008 to 2009: -42%. 

Total calls received; 
2005: 58 million; 
2006: 57 million; 
2007: 57 million; 
2008: 118 million; 
2009: 78 million; 
Percentage change from 2008 to 2009: -34%. 

Source: GAO analysis of IRS data. 

Note: Data from January 1 through June 30. 

[End of table] 

IRS attributed the heavier-than-anticipated call volume in part due to 
stimulus-related questions and taxpayers needing authentication 
information. Taxpayers had to provide their last year's adjusted gross 
income (AGI) or personal identification number (PIN) to authenticate 
their identity in order to electronically file. Taxpayers who did not 
know their AGI or PIN and tried to get it from IRS had to call an 
assistor or visit an IRS walk-in site. While IRS took actions to 
minimize the effect of these calls, heavy volume continued through the 
filing season. According to IRS, its assistors answered 3 million 
calls from taxpayers needing their AGI, nearly 10 percent of all 
assistor calls, at a cost of $36 million through June 2009. 

We recently reported that IRS is developing an automated Web and phone 
application to provide taxpayers with authentication information for 
electronic filing in the 2010 filing season.[Footnote 22] In that 
report, we also made recommendations to improve telephone service by 
reducing the volume of telephone calls, which could improve taxpayer 
access to IRS assistors. For example, in addition to recommending ways 
to reduce the number of rejected returns, which often lead to 
taxpayers calling IRS, we recommended that IRS develop a low-cost 
automated method to respond to taxpayer questions about volunteer site 
locations and hours of operation. IRS is in the process of addressing 
those recommendations. 

Despite the heavy call volume, the accuracy of the telephone 
assistors' responses to tax law and account questions was higher by a 
statistically significant amount compared to the same period last year 
and exceeded IRS's fiscal year 2009 goals (see table 5). Since 2005, 
IRS has maintained a level of accuracy of about 90 percent or more. 
According to IRS officials, the high accuracy is due to training and 
the introduction of new tools, particularly the Interactive Tax Law 
Assistant (ITLA), which is a Web-based probe and response guide to 
help assistors provide more accurate and consistent responses to 
specific tax law questions. 

Table 5: IRS Telephone Assistor Accuracy Performance, 2005 through 
2009: 

Accuracy measures[A]: 

Tax law accuracy rate (in percent)[B]; 
2005 actual: 89.5; +/-0.6; 
2006 actual: 90.6; +/-0.6; 
2007 actual: 90.7; +/-.9; 
2008 actual: 90.3; +/-.9; 
2009 actual: 92.5; +/-0.8; 
Fiscal year 2009 goals: 91.0. 

Accounts accuracy rate (in percent)[B]; 
2005 actual: 91.3; +/-0.4; 
2006 actual: 93.3; +/-0.3; 
2007 actual: 93.2; +/-0.-5; 
2008 actual: 93.5; +/-0.4; 
2009 actual: 95.1; +/-0.4; 
Fiscal year 2009 goals: 93.5. 

Source: GAO analysis of IRS data. 

[A] Based on representative samples from January through June. 

[B] The percentage of calls in which telephone assistors provided 
accurate answers for the call type and took the appropriate action, 
with a 90 percent confidence interval. 

[End of table] 

IRS Has a Limited Understanding of Why Taxpayers Call: 

IRS has limited information on why taxpayers call to speak IRS 
assistors. To help obtain better information on why taxpayers call, 
IRS recently implemented a major data collection effort called Contact 
Analytics at all its 26 call sites. According to IRS, Contact 
Analytics is a significant investment that will allow IRS to search 
recorded telephone interactions between taxpayers and IRS assistors 
for key words or phrases. It is intended to improve service by 
providing IRS with a research tool to better understand why taxpayers 
are calling and take corrective action if necessary as well as 
identify areas to reduce costs, such as identifying calls that can be 
moved to self-service.[Footnote 23] 

However, the agency does not have a comprehensive and detailed 
analysis plan for effectively using Contact Analytics data to 
determine how to improve taxpayer service or reduce costs. According 
to IRS officials, because Contact Analytics is a new program and data 
is only beginning to be collected, IRS has not yet considered a plan 
to analyze the data produced by the program. IRS officials recently 
indicated that now that Contact Analytics has been implemented, they 
intend to eventually develop an analysis plan. However, a standard 
approach for major data collection efforts is to develop a research 
plan before data collection begins. Such a plan helps ensure that 
necessary data is collected and that resources are not wasted 
collecting information that will not be needed.[Footnote 24] Now that 
IRS is actually collecting the data, the lack of a research plan 
delays the time when improvements to taxpayer service, based on the 
results of the research, could be implemented. Having a comprehensive 
and detailed analysis plan that includes, for example, a research 
design, dissemination of results, and involvement of relevant 
stakeholders, provides a number of benefits, perhaps most importantly, 
increasing the likelihood that the analysis will yield 
methodologically sound results, thereby supporting effective policy 
decisions.[Footnote 25] 

While many taxpayers require service from live assistors, diverting 
calls to automated services is also important because of the costs 
involved--IRS assistors answered about 26 million calls between 
January 1, 2009 and June 30, 2009 at a cost of $25.75 per call, for a 
total of $670 million. Also, taxpayers would benefit from reduced wait 
times and having the capability to obtain information immediately and 
without having to speak to an assistor. 

IRS Added Features to Its Web Site that Potentially Diverted Calls: 

IRS continues to launch new features on its Web site to provide better 
access to information and reduce taxpayer burden, including: 

* the "How Much Was My 2008 Stimulus Payment" application and the 
recovery rebate check calculator that used the economic stimulus 
payment amount from 2008 along with several other factors to determine 
eligibility for recovery rebate credit and the appropriate amount to 
claim; 

* the Online Payment Agreement application that provides taxpayers 
with an online, interactive payment agreement process that reduces the 
need for contact with an assistor and eliminates paper processing. 

* a "What if" page on IRS.gov that describes different scenarios for 
taxpayers on the possible impact of, for example, loss of job or 
house, on the taxpayers ability to pay taxes; and: 

* information on the new tax credits provided in the Recovery Act with 
details on, for example, claiming the first-time homebuyer credit and 
tax breaks for vehicle purchases. 

As table 6 shows, compared to before 2008, visits to IRS's Web site 
are substantially higher than in the last 4 years with the exception 
of 2008. The year 2008 was anomalous, in part, because of the high 
number of visits to stimulus-related features on IRS's Web site in 
2008. 

Table 6: IRS Web Site Use, 2005 through 2009: 

Total visits; 
2005: 148 million; 
2006: 161 million; 
2007: 178 million; 
2008[A]: 304 million; 
2009: 246 million; 
Percentage change from 2008 to 2009: -19%. 

Downloads; 
2005: 125 million; 
2006: 170 million; 
2007: 128 million; 
2008[A]: 145 million; 
2009: 150 million; 
Percentage change from 2008 to 2009: 3%. 

Searches[B]; 
2005: 166 million; 
2006: 128 million; 
2007: 146 million; 
2008[A]: 175 million; 
2009: 184 million; 
Percentage change from 2008 to 2009: 5%. 

Where's My Refund?; 
2005: 22 million; 
2006: 25 million; 
2007: 32 million; 
2008[A]: 39 million; 
2009: 53 million; 
Percentage change from 2008 to 2009: 36%. 

Recovery Rebate Check Calculator[B]; 
2005: NA; 
2006: NA; 
2007: NA; 
2008[A]: NA; 
2009: 7 million; 
Percentage change from 2008 to 2009: NA. 

How Much Was My 2008 Stimulus Payment?[C]; 
2005: NA; 
2006: NA; 
2007: NA; 
2008[A]: NA; 
2009: 55 million; 
Percentage change from 2008 to 2009: NA. 

Online Payment Agreement; 
(in thousands)[D]; 
2005: NA; 
2006: NA; 
2007: NA; 
2008[A]: 4,763 million; 
2009: 49,233 million; 
Percentage change from 2008 to 2009: NA. 

Source: GAO analysis of IRS data. 

Note: NA means not applicable. 

[A] Data from October through December 2008. 

[B] Includes visits and page views. 

[C] Data from January 1 through June. 

[D] IRS launched the Online Payment Agreement application in 2008. 

[End of table] 

One measure of the quality of IRS's Web site is its ranking in the 
Keynote Systems top 40 government Web sites. During each week of the 
2009 filing season, IRS ranked fourth and fifth in response time out 
of the top 40 government Web sites in the Keynote Government Index 
weekly ratings, compared to ranging between first or second last 
filing season.[Footnote 26] 

Finally, IRS is working on a Web portal strategy to expand taxpayers' 
access to self-assistance tools for account and tax law issues. Both 
the TAB and IRS's 2009-2013 strategic plan focus on enhancing features 
on IRS's Web site. 

IRS Improved Its Ability to Assess the Quality of Assistance at 
Volunteer Sites and Accuracy Improved at IRS's Walk-in Sites: 

As of June 28, 2009, IRS's volunteer partners prepared 3 million tax 
returns, a slight increase of 1 percent over last year. IRS provides 
training and certification for volunteer staff to help ensure quality. 
However, assessing the quality of assistance at volunteer sites is a 
challenge for IRS because of the large number of volunteer sites and 
staff providing return assistance. IRS officials stated that the 
agency partnered with community-based organizations to run 12,160 
sites in 2009, 320 sites more than last year, staffed with nearly 
83,000 volunteers.[Footnote 27] 

Despite these challenges, IRS conducted several types of quality 
reviews, including site and tax return reviews as well as mystery 
shopping reviews in both 2008 and 2009.[Footnote 28] For 2009, IRS 
combined site and return reviews into its Quality Statistical Sample 
(QSS) reviews. According to IRS officials, QSS reviews were based on a 
statistically valid sample of sites.[Footnote 29] IRS reported that it 
collected data from 240 site reviews and 679 return reviews, generally 
reviewing 3 tax returns per site visit. As of mid-April, return 
preparation accuracy was 78 percent. In contrast, IRS's mystery 
shopping reviews resulted in a 68 percent accuracy rate. However, IRS 
officials stated that the QSS reviews are statistically valid and, 
therefore, provide a better overall assessment of return accuracy than 
mystery shopping. Consequently, IRS officials reported they will not 
conduct mystery shopping in 2010. 

While we acknowledge that the QSS reviews represent an important 
advancement in IRS's assessment of the accuracy of return assistance 
at volunteer sites, it is important to consider how the data are 
collected and how the results will be used. The results of the QSS 
return reviews could be biased because of volunteers' awareness of the 
presence of IRS officials. According to IRS officials, since site 
visits were unannounced, volunteer staff may have been unaware of 
IRS's presence while observing the first return, but were likely to 
have noticed IRS's presence by the second and third return. As a 
result, volunteers could be more quality conscious while preparing the 
later returns, adhering to the quality process encouraged by IRS more 
than they might have been otherwise. IRS officials stated that they 
understand the limitations of how the results were obtained. 

In contrast to a slight increase at volunteer sites, as of April 30, 
2009, the total number of taxpayers' contacts at IRS's 401 walk-in 
sites was 2.7 million, down 12 percent compared to previous year. 
[Footnote 30] Further, as of June 30, 2009, 

* the accuracy of account assistance improved to 88 percent compared 
to 83 percent last year, and: 

* the accuracy of tax law assistance also improved to 76 percent from 
67 percent last year. According to IRS officials, this increase is due 
in large part to management's focus on the consistent use of IRS tools 
available to assistors. They identified IRS's ITLA in particular, for 
the increase in accuracy in tax law and return assistance, which is 
used by both IRS's telephone and walk-in site assistors to provide 
more accurate and consistent answers to taxpayers' questions. While 
IRS officials acknowledged that using ITLA may take longer to get the 
answer, assistors properly using the tool will provide the right 
answer(s) to customer specific tax law questions more often than when 
ITLA is not used. 

The Relationship between TAB and IRS's Budget and Strategic Plan Is 
Not Clear: 

TAB is IRS's 5-year strategic plan for improving service to taxpayers 
and helping guide the agency's budget and resource allocation 
decisions. However, the linkage between TAB and the 2010 budget 
request for IRS or IRS's agency wide 2009-2013 strategic plan is not 
clear. TAB is mentioned once in the budget document and not at all in 
IRS's strategic plan. This lack of transparency obscures the link 
between TAB and IRS's overall strategic plan and budget. IRS officials 
acknowledged that while TAB is not specifically included and 
integrated in IRS's budget and other planning documents, IRS considers 
TAB to be a guiding principle. 

According to the Office of Management and Budget and our own work, it 
is important to link general goals communicated in strategic plans 
with cross-cutting initiatives, such as those listed in TAB because 
they work together to form a budget and implementation framework. 
[Footnote 31] Without more explicit connections between TAB and IRS's 
planning documents, Congress and other stakeholders may not be able to 
understand the priority that IRS places on improving taxpayer service. 

RAL Usage Declined in 2009 and IRS Could Further Reduce Usage by 
Issuing Faster Refunds: 

According to IRS, depending on the tax refund amount, RAL and RAC fees 
may range from $39 to over $600, which includes the account set-up 
fee, tax preparation, and interest. In a recent report, we noted that 
these charges may amount to an annual percentage interest rate of over 
500 percent.[Footnote 32] IRS officials told us that IRS's continued 
efforts to reduce RALs and RACs focus on increasing electronic filing 
with direct deposit, and improving refund timeliness. 

Table 7 shows that 8 million taxpayers applied for RALs from banks or 
other financial institutions, a decline of 20 percent compared to last 
year. One reason for this decline may have been reluctance by some 
lenders to offer RALs early in the filing season due to taxpayer 
errors related to recovery rebate credit claims.[Footnote 33] Because 
taxpayer's anticipated refund is the collateral for a RAL, lenders 
could not be certain the collateral existed when many refund claims 
were in error. In contrast, the number of RAC requests increased by 10 
percent to 11 million. RACs are less risky for the return preparer 
because the taxpayer receives no money until the preparer receives the 
refund and deducts associated fees. 

Table 7: RALs and RACs Requested by Taxpayers, 2007 through 2009: 

RALs: 
2007: 10 million; 
2008: 10 million; 
2009: 8 million; 
Percentage change from 2008 to 2009: -20%. 

RACs: 
2007: 9 million; 
2008: 10 million; 
2009: 11 million; 
Percentage change from 2008 to 2009: 10%. 

Source: GAO analysis of IRS data. 

Note: Data from January 1 through April 15. 

[End of table] 

IRS's 2006 RAL report to Congress provides valuable information on: 

* taxpayer use of RALs and RACs, 

* benefits of improving refund timeliness on reducing taxpayers' 
reliance on RALs and RACs, 

* the cost associated with RALs and RACs, and: 

* information on RAL alternatives offered by both IRS and tax 
preparers.[Footnote 34] 

However, IRS has not released this report to the public nor has IRS 
updated it. Further, according to IRS officials, there is no 
requirement to do so. By not public releasing and updating the report, 
IRS is missing an opportunity to provide Congress and taxpayers with 
important information on how tax law changes, such as the economic 
stimulus package, might have affected taxpayers' reliance on RALs and 
RACs and potentially reduce taxpayers' reliance on them. 

IRS and Other Entities Share Responsibility for Issuing Refunds, and 
More Could Be Done to Improve Refund Timeliness: 

Most refunds are claimed on electronically filed returns and then 
electronically deposited because taxpayers and preparers know that 
electronic filing and depositing speeds up refund processing. Refunds 
take 5 to 15 days, as shown in figure 1. Figure 1 also shows that: 

* refund processing time varies by day of the week and is shorter for 
refunds processed on CADE than on IRS's legacy individual master file, 

* three entities--IRS, Treasury's Financial Management Service (FMS) 
and Automated Clearing House (ACH)--share responsibility for issuing 
refunds (see table 8 below).[Footnote 35] IRS runs pre-refund tax law 
compliance checks, FMS checks for non tax debt owed to the federal 
government, and ACH distributes the funds. 

* IRS accounts for a varying proportion of the total processing time. 
In a number of cases, IRS accounts for less than half the time it 
takes to process and issue a refund. 

Figure 1: Income Tax Refund Processing Time Line for Electronically 
Filed Returns with Direct Deposit by Processing Component: 

[Refer to PDF for image: vertical bar graph] 

Number of days to process a refund: 

Day of submission for electronically filed returns received by 11:00 
a.m.: Monday; 
Processing system: CADE; 
IRS processing time: 1.5 days; 
FMS processing time: 0.5 days; 
ACH processing time: 2 days; 
Direct deposit: 0.5 days; 
Total: 5 days; 
Processing system: IMF: 
IRS processing time: 8.5 days; 
FMS processing time: 0.5 days; 
ACH processing time: 2 days; 
Direct deposit: 0.5 days; 
Total: 12 days. 

Day of submission for electronically filed returns received by 11:00 
a.m.: Tuesday; 
Processing system: CADE; 
IRS processing time: 1.5 days; 
FMS processing time: 0.5 days; 
ACH processing time: 4 days; 
Direct deposit: 0.5 days; 
Total: 7 days; 
Processing system: IMF: 
IRS processing time: 7.5 days; 
FMS processing time: 0.5 days; 
ACH processing time: 2 days; 
Direct deposit: 0.5 days; 
Total: 11 days. 

Day of submission for electronically filed returns received by 11:00 
a.m.: Wednesday; 
Processing system: CADE; 
IRS processing time: 1.5 days; 
FMS processing time: 0.5 days; 
ACH processing time: 4 days; 
Direct deposit: 0.5 days; 
Total: 7 days; 
Processing system: IMF: 
IRS processing time: 6.5 days; 
FMS processing time: 0.5 days; 
ACH processing time: 2 days; 
Direct deposit: 0.5 days; 
Total: 10 days. 

Day of submission for electronically filed returns received by 11:00 
a.m.: Thursday; 
Processing system: CADE; 
IRS processing time: 1.5 days; 
FMS processing time: 0.5 days; 
ACH processing time: 4 days; 
Direct deposit: 0.5 days; 
Total: 7 days; 
Processing system: IMF: 
IRS processing time: 5.5 days; 
FMS processing time: 0.5 days; 
ACH processing time: 2 days; 
Direct deposit: 0.5 days; 
Total: 9 days. 

Day of submission for electronically filed returns received by 11:00 
a.m.: Friday; 
Processing system: CADE; 
IRS processing time: 3.5 days; 
FMS processing time: 0.5 days; 
ACH processing time: 2 days; 
Direct deposit: 0.5 days; 
Total: 7 days; 
Processing system: IMF: 
IRS processing time: 11.5 days; 
FMS processing time: 0.5 days; 
ACH processing time: 2 days; 
Direct deposit: 0.5 days; 
Total: 15 days. 

Day of submission for electronically filed returns received by 11:00 
a.m.: Saturday; 
Processing system: CADE; 
IRS processing time: 3.5 days; 
FMS processing time: 0.5 days; 
ACH processing time: 2 days; 
Direct deposit: 0.5 days; 
Total: 7 days; 
Processing system: IMF: 
IRS processing time: 10.5 days; 
FMS processing time: 0.5 days; 
ACH processing time: 2 days; 
Direct deposit: 0.5 days; 
Total: 14 days. 

Day of submission for electronically filed returns received by 11:00 
a.m.: Sunday; 
Processing system: CADE; 
IRS processing time: 1.5 days; 
FMS processing time: 0.5 days; 
ACH processing time: 2 days; 
Direct deposit: 0.5 days; 
Total: 6 days; 
Processing system: IMF: 
IRS processing time: 9.5 days; 
FMS processing time: 0.5 days; 
ACH processing time: 2 days; 
Direct deposit: 0.5 days; 
Total: 13 days. 

Source: GAO analysis of IRS data. 

[End of figure] 

Improving refund timeliness is a goal of IRS, with the effort focused 
on shifting tax return processing to CADE. Figure 1 suggests that 
another approach would be to try to reduce the time taken by the other 
two entities involved in issuing refunds, particularly ACH. While IRS 
officials reported that they meet at least annually with FMS officials 
to discuss issues related to refunds and communicate intermittently to 
address issues as needed, they also said that they have not 
aggressively explored with the other two entities whether 
opportunities exist to shorten refund processing time.[Footnote 36] 
This is a timely issue because as IRS has shifted 40 million of tax 
returns to CADE, the IRS proportion of overall refund processing time 
has decreased. 

IRS Has Not Studied the Use of Debit Cards for Unbanked Taxpayers: 

While IRS offers paper check and direct deposit options for delivering 
refunds to taxpayers, it has not studied the feasibility of 
distributing refunds electronically through debit cards.[Footnote 37] 
Further, IRS has not determined the costs of issuing debit cards nor 
the benefit for taxpayers. Although tens of millions of taxpayers 
receive paper checks, they are less secure than electronic 
distribution of benefits. Further, many unbanked taxpayers may not 
have the benefit of faster refunds associated with direct deposit and, 
instead, receive their tax refund by checks, often incurring 
transaction costs, such as check cashing fees.[Footnote 38] 

Debit card programs are well established in a variety of state and 
federal government programs. For example, FMS's Direct Express debit 
cards allow beneficiaries to receive their benefits as quickly as 
direct deposit while avoiding transaction fees associated with 
receiving check payments. Similarly, debit cards could provide 
taxpayers with a low-or no-cost refund option for receiving refunds 
quickly. According to a recent survey conducted by TIGTA, 63 percent 
of RAL applicants indicated a preference for receiving a debit card 
from IRS instead of purchasing a RAL. Finally, in its RAL report to 
Congress, IRS noted that transitioning unbanked taxpayers to debit 
cards would allow them to receive their refund in the same amount of 
time as taxpayers that have direct deposit.[Footnote 39] 

Without researching the benefits and costs of debit cards, IRS does 
not know whether direct distribution of cards is a viable option to 
distribute refunds, improve refund timeliness and reduce taxpayer 
reliance on RALs, and provide electronic payment options for unbanked 
taxpayers. 

We have previously reported that Treasury's role as the federal 
government's leader for payments and its experience with electronic 
payment methods suggests that it could provide valuable information 
and assistance to IRS, particularly when working with other entities 
to improve service.[Footnote 40] However, without aggressively 
collaborating with FMS and ACH to improve refund timeliness and 
explore other refund options, IRS may be missing an opportunity to 
further reduce the time taxpayers wait for refunds and taxpayers' 
reliance on RALs. 

During Returns Processing IRS Could Reduce Taxpayer Confusion and 
Better Ensure Compliance with Higher Education Tax Benefits: 

We identified higher education tax benefits as one area where an 
expansion of MEA and revisions to information returns might reduce 
taxpayer confusion and increase compliance (see app. V). Millions of 
taxpayers claim the Hope and Lifetime Learning tax credits to offset 
qualified education expenses. However, these tax provisions are 
complicated and may lead taxpayers to under claim benefits or 
unknowingly claim more benefits than they are entitled to claim. 
[Footnote 41] 

IRS faces challenges ensuring compliance with the eligibility 
requirements of the higher education credits. IRS relies on audits and 
limited MEA to ensure compliance. However, audits may not be an 
efficient method for enforcement in this case. Audits are labor 
intensive, and therefore costly, for IRS. According to IRS officials, 
the maximum amount most taxpayers can claim per student each year-- 
$1,800 per student for the Hope credit and $2,000 per return for the 
Lifetime learning credit for tax year 2008--may not yield sufficient 
revenue to justify expanded enforcement.[Footnote 42] Because of the 
relatively high costs and small revenue gain, IRS does relatively few 
audits of the millions of education credit claims. 

IRS has MEA to verify compliance with some of the higher education 
credit eligibility requirements. However, IRS lacks the statutory 
authority to use MEA to verify compliance with the limit on the number 
of years that taxpayers can claim the Hope credit.[Footnote 43] If IRS 
had authority to use information from prior years' returns to check 
taxpayers' eligibility, it could correct claims during processing, 
before refunds are issued, and enhance compliance. 

Eligible educational institutions are required to report information 
on qualified expenses for higher education to both taxpayers and IRS 
so that taxpayers can determine the amount of educational tax benefits 
that can be claimed (see app. V).[Footnote 44] However, the 
information currently reported by educational institutions on tuition 
statements sent to IRS and taxpayers (on Form 1098-T) may be confusing 
for taxpayers who use the form to prepare their tax returns and not 
very useful to IRS.[Footnote 45] 

IRS requires institutions to report on Form 1098-T either the (1) 
amount of payments received, or (2) amount billed for qualified 
expenses. IRS officials stated that most institutions report the 
amount billed and do not report payments. However, the amount billed 
may not equal the amount that can be claimed as a credit.[Footnote 46] 
For example, the amount billed may not account for all scholarships or 
grants the student received. In such cases, the Form 1098-T may 
overstate the amount that can be claimed as a credit, confusing 
taxpayers. Conversely, if institutions are not providing information 
on other eligible items, such as books or equipment, taxpayers might 
be understating their claims.[Footnote 47] 

In addition to confusing taxpayers, the existing Form 1098-T is not 
very useful to IRS in its enforcement efforts. According to IRS 
officials, because the amount billed may not be the amount taxpayers 
are eligible to claim as a credit, IRS does not compare tuition 
statement information to the information reported on a tax return. IRS 
officials stated that a change in legislation, which TIGTA recommended 
in a recent report, would be needed to require institutions to report 
only the amount paid. However, IRS does not currently use some of the 
more basic information from the tuition statement to verify 
eligibility for the credit.[Footnote 48] For example, a tuition 
statement includes the student's SSN that could be matched to tax 
return information. Additionally, IRS does not use the location of the 
institution to determine whether it is located in a federal disaster 
area, which substantially increases the amount of the eligible credit. 
Using IRS's compliance computer matching systems to automatically 
compare information on statements to taxpayers' claims could be a low-
cost enforcement tool for IRS to verify certain aspects taxpayers' 
eligibility for of the credit. 

While changing the requirements for how higher education institutions 
report qualified expenses on tuition statements would likely impose 
some burden on those institutions, the additional burden could be low 
because the institutions are already required to fill out Form 1098-T. 
Further, this form could be revised to more clearly provide additional 
information about qualified expenses, such as for books, supplies, and 
equipment--information institutions might already collect--and 
potentially reduce taxpayer confusion and noncompliance. 

Conclusions: 

IRS met many of its 2009 filing season goals. The major exception was 
telephone service, where, for a second year in a row, unanticipated 
increases in call volume significantly reduced performance, in part, 
because of inquires related to tax law changes. However, IRS does not 
have a research plan for conducting analyses of its telephone contacts 
that could identify areas for more automated services. The declines in 
telephone performance also highlight the importance of TAB, which is 
intended to provide the strategy for improving service to taxpayers, 
and how TAB is integral to IRS's overall strategic plan. 

Millions of taxpayers continue to use expensive RALs and RACs. By not 
coordinating more closely with FMS and ACH, IRS may be missing 
opportunities to improve refund timeliness and expand options for 
refund delivery, both of which might reduce taxpayers' demand for RALs 
and RACs. Further, by not updating its RAL report and studying the 
feasibility of debit card options, IRS may be missing other 
opportunities to reduce the transaction costs imposed on taxpayers, 
particularly low income taxpayers, when they receive tax refund 
payments. 

Finally, steps could be taken by Congress to provide IRS with the 
statutory authority to automatically verify some aspects of higher 
education credits claims and by IRS to improve and better utilize 
information reported by higher education institutions. Without such 
steps, taxpayers may remain confused by the information reported to 
them, and IRS will not make use of some low-cost, less intrusive tools 
for helping ensure compliance. 

Matters for Congressional Consideration: 

Congress should consider providing IRS with MEA to use prior years' 
tax return information to automatically verify taxpayers' compliance 
with the limit on the number of years the Hope credit can be claimed. 

Recommendations for Executive Action: 

Related to improving IRS's performance during the filing season, the 
Commissioner of Internal Revenue should: 

* Develop as soon as possible an analysis plan for using the data IRS 
captures through Contact Analytics; and: 

* Explicitly integrate the TAB in strategic planning documents. 

To further improve refund timeliness and reduce reliance on RALs and 
RACs, IRS should: 

* Update and publicly release a report on RAL and RAC use; 

* Work more proactively with FMS and ACH to help improve refund 
timeliness; and: 

* Determine the feasibility of offering debit cards for refunds. 

To reduce taxpayer confusion and enhance compliance with the 
eligibility requirements for higher education benefits, IRS should: 

* Determine the feasibility of using current information reported on 
Form 1098-T, such as school location and taxpayer identification 
number or SSN, in IRS's compliance programs; and: 

* Revise Form 1098-T to improve the usefulness of information on 
qualifying education expenses. 

Agency Comments and Our Evaluation: 

In written comments on a draft of this report (which are reprinted in 
appendix I), the IRS Deputy Commissioner for Services and Enforcement 
explicitly agreed with five of our recommendations and described the 
steps IRS is taking with respect to our two other recommendations. IRS 
officials also provided technical comments which we incorporated as 
appropriate. 

IRS agreed to develop a comprehensive and detailed evaluation plan for 
Contact Analytics, work to define the scope and objectives for 
potentially updating and releasing a RAL/RAC report, and work with FMS 
and ACH to improve refund timeliness. IRS also agreed to consider the 
feasibility of using current information on Form 1098T in its 
compliance programs, and develop a plan to address possible changes to 
that form. 

With respect to our recommendation to explicitly integrate TAB in 
strategic planning documents, the Deputy Commissioner said that 
although they are not repeated verbatim in IRS's Strategic Plan, TAB's 
guiding principles resonate throughout the document. We acknowledged 
IRS's position in making our finding and recommendation. However, TAB 
is not mentioned once by name in IRS's strategic plan. Without an 
explicit and transparent connection between TAB and IRS's other 
planning documents, Congress and other stakeholders may not be able to 
understand the priority that IRS is giving to improving taxpayer 
service. 

Concerning our recommendation to determine the feasibility of offering 
a debit card option for refunds, the Deputy Commissioner said that the 
agency is exploring options for debit card use including an option to 
provide debit cards directly. Because the Deputy Commissioner's letter 
does not provide any detail on what exploring options means, we want 
to reiterate the basis for our recommendation. A small debit card 
pilot program was conducted at several volunteer sites around the 
country, but that pilot did not provide information on the benefits or 
costs of IRS issuing debit cards directly. Given the large number of 
unbanked taxpayers, we believe IRS should determine the feasibility of 
directly issuing debit cards. 

As agreed with your offices, unless you publicly announce the contents 
of this report earlier, we plan no further distribution until 30 days 
from the report date. At that time, we will send copies to the 
Chairmen and Ranking Members of other Senate and House committees and 
subcommittees that have appropriation, authorization, and oversight 
responsibilities for IRS. We will also send copies to the Commissioner 
of Internal Revenue, the Secretary of the Treasury, the Chairman of 
the IRS Oversight Board, and the Director of the Office of Management 
and Budget. The report also will be available at no charge on the GAO 
Web site at [hyperlink, http://www.gao.gov]. If you or your staff have 
any questions or wish to discuss the material in this report further, 
please contact me at (202) 512-9110 or at whitej@gao.gov. Contact 
points for our Offices of Congressional Relations and Public Affairs 
may be found on the last page of this report. GAO staff who made 
contributions are listed in appendix VI. 

Signed by: 

James R. White: 
Director, Tax Issues Strategic Issues Team: 

[End of section] 

Appendix I: Comments from the Internal Revenue Service: 

Department Of The Treasury: 
Internal Revenue Service: 
Deputy Commissioner: 
Washington, D.C. 20224: 

Mr. James R. White: 
Director, Tax Issues: 
U.S. Government Accountability Office: 
441 G Street, N.W. 
Washington, DC 20548: 

Dear Mr. White: 

I reviewed your draft report entitled 2009 Tax Filing Season: IRS Met 
Many 2009 Goals, but Telephone Access Remained Low, and Taxpayer 
Service and Enforcement Could be Improved. I appreciate your 
recognition of our significant achievements in successfully delivering 
the 2009 filing season, which you note was particularly challenging 
due to the impact of implementing complex tax law changes, including 
economic stimulus policies that resulted in unexpected increases in 
call volumes and created new taxpayer compliance challenges and 
workload. 

Processing - We again had an outstanding filing season, successfully 
implementing significant and sometimes extremely late tax law changes. 
These included the late change to the First-Time Homebuyer Credit in 
the American Recovery and Reinvestment Act (ARRA), the Recovery Rebate 
Credit (RRC), and the provisions of the Emergency Economic and 
Stabilization Act, which included the additional standard deduction 
for state and local sales taxes or disaster losses. For the Calendar 
Year, through October 2, 2009, we processed over 139 million 
individual income tax returns and issued over 109 million refunds, 
totaling approximately $298 billion. 

Electronic filing grew again this year with 93.9 million, or 67 
percent, of individual taxpayers filing electronically. The remaining 
45.4 million were filed on paper. The number of returns filed 
electronically increased 6 percent over last year, which exceeds the 
5.1 percent increase we projected in the fall of 2008 for all of 2009. 

The most significant increase in e-file occurred again in the number 
of taxpayers who filed from their home computer. Nearly 32 million 
returns were filed from home computers, a 19.5 percent increase from 
the prior year. Three million taxpayers took advantage of the free 
online filing services offered by the Free File Alliance. Also notable 
is the fact that all 93.9 million taxpayers electronically signed 
their electronic returns, further increasing the efficiency of e-file. 

Successful implementation of the Customer Account Data Engine (CADE) 
continued during 2009, with Release 4.2 being successfully deployed in 
January 2009. Release 4.2 increased functionality, including the 
ability to accept last name changes, and the ability to accept and 
post incoming tax returns with full payment. In addition, the CADE 
processed estimated tax payments and extensions of time to file, both 
with and without remittances. As of September 30, 2009, CADE posted 
over 40 million returns and disbursed over 34.9 million refunds 
totaling more than $58.6 billion. In addition, CADE processed and 
posted 7.1 million payments totaling $9.3 billion. 

Telephone Performance - We delivered a successful filing season 
despite challenges of higher than expected call demand for Adjusted 
Gross Income (AGI) generated by the elimination of the Form 8453-0L, 
U.S. Individual Income Tax Declaration for an IRS e-file Online 
Return, the RRC, and the ARRA of 2009. The IRS took aggressive and 
timely actions to address this additional call demand. These actions 
included: 

* Identification of, and special processing for, RRC math error calls. 

* Diversion of staff from other programs during peak demand periods to 
handle calls requesting the prior year AGI, needed for identity 
verification purposes when obtaining a Personal Identification Number 
(PIN) for e-file. 

* Redesign of the Economic Stimulus Payment Hotline to include 
information on both new ARRA legislation and the 2008 RRC. 

As a result, more than 41.8 million taxpayers were assisted in the 
three and one half months that represent the core filing season, 
including 21.3 million taxpayers that received automated services. The 
IRS provided 20.5 million services by live assistors, surpassing the 
2008 filing season by 1.9 million assistor services, and exceeding the 
2009 plan by more than 1 million services. Customer Accuracy and 
Customer Satisfaction also remained high during the filing season. 
Customer Accuracy for Toll-Free services, including Tax Law and 
Accounts, was 94.1 percent, while Customer Satisfaction for the filing 
season was 94 percent for customers using the Toll-Free service. 

The Customer Service Representative Level of Service for the Fiscal 
Year (FY) was 70 percent compared to 52.8 percent for the same period 
in the prior year. Also this FY, Assistor Calls Answered of 39.0 
million exceeded the goal of 36.2 million; Assistor Services Provided 
of 45.1 million exceeded the goal of 42.4 million; and Automated Calls 
Answered of 29.0 million exceeded the goal of 27.6 million. Caller 
Wait Time was less than planned by 98 seconds (526 seconds vs. 624 
seconds). Considering all channels (telephones, paper correspondence, 
and web), Customer Contacts Resolved per Staff Year (12,154) was 124 
percent of plan, and the Self Service Participation rate (69.3) was 
107 percent of plan. 

Walk-In Assistance - During the FY 2009 filing season, IRS continued 
to provide services at all 401 Taxpayer Assistance Centers (TACs). 
Contact Recording (CR), an automated system that records the audio 
portion of the assistor/taxpayer interaction and synchronizes it with 
computer screen activity, was utilized to better measure the accuracy 
of Tax Law and Account Assistance. During the filing season, CR was 
operational at 327 of the 401 TACs and, by the end of FY 2009, it was 
operational at 341 TACs. 

Quality data obtained from the CR system was used to identify areas 
for improvement and training. This filing season, the TACs achieved an 
86 percent Accounts Accuracy rate, exceeding the goal of 84 percent, 
and a Tax Law Accuracy Rate of 75 percent, exceeding the goal of 70 
percent. We expect continued improvement in the accuracy of responses 
provided by TAC employees in FY 2010, by focusing on a successful 
initial planning period (October through December 2009), targeting 
improvement efforts on high volume topics, enhancing managerial review 
skills, and aligning resources with the questions generating the most 
errors. 

For the FY 2009 filing season, the IRS also expanded the number of tax 
law topics covered by the Interactive Tax Law Assistant (ITLA), a tax 
law decision support tool. Emphasis on front-line engagement, 
improving communication skills (targeting, listening, and 
paraphrasing), and correct use of ITLA will continue to play a primary 
role in our ability to reach 2010 goals. 

Volunteer Assistance - During the FY 2009 filing season, 82,653 IRS 
supported volunteers prepared nearly 3.1 million Federal tax returns 
and more than 2.1 million State tax returns at Volunteer Income Tax 
Assistance (VITA) and Tax Counseling for the Elderly (TCE) sites. 
These returns were primarily prepared for low income, elderly, 
disabled, and limited English-proficient taxpayers. While this 
represents a slight decrease from FY 2008, it is primarily due to the 
large volume of economic stimulus payment-only returns prepared in 
2008, for taxpayers who normally did not have a filing requirement. 

In December 2007, Congress appropriated $8 million in a matching funds 
grant in support of the VITA Program. More than 350 applicants from 49 
states, Puerto Rico, and the District of Columbia, applied to receive 
these grant funds for 2009 filing season operations. The VITA grants, 
in the amount of $7.44 million, were awarded to 111 applicants, with 
sites in all 50 states and the District of Columbia. More than 750,000 
returns were prepared at more than 2,500 sites, supported through 
these grant funds. We recently announced VITA grant recipients for the 
FY 2010 filing season and expect even greater results as this program 
continues to grow. 

Enclosure: 

Related to improving IRS's performance during the filing season, IRS 
should: 

Recommendation: 
Develop as soon as possible an analysis plan for using the data IRS 
captures through Contact Analytics; 

Comment: 

Though the technology had not yet been fully deployed at the time of 
this audit, we agree with this recommendation. The Center of 
Excellence has been established as the new organization charged with 
managing this technology and is developing a formalized process for 
requesting data through Contact Analytics as part of its stand-up 
activities, as well as determining an appropriate methodology for 
fulfilling requests for data. As the processes evolve, we will develop 
a comprehensive and detailed evaluation plan based on experience and 
input from internal stakeholders. 

Recommendation: 

Explicitly integrate the TAB in strategic planning documents. 

Comment: 

Though not repeated verbatim in the IRS Strategic Plan, the Taxpayer 
Assistance Blueprint (TAB) guiding principles resonate throughout the 
document. Rather than specifically repeating the findings and 
objectives outlined in the TAB, the Strategic Plan complements and 
often expands upon the work accomplished in the TAB. For example, 
Strategic Goal Number One indicates that the IRS will "Improve service 
to make voluntary compliance easier." The first TAB guiding principle 
describes how, "The primary goal of service for individual taxpayers 
is to facilitate compliance with federal tax obligations." Clearly 
these two statements mirror the common objective of facilitating 
compliance by providing exemplary taxpayer service. Similarly, the 
Strategic Plan reflects the strong influence of the TAB guiding 
principles relative to tax practitioners and preparers. Where the TAB 
suggests that the IRS will, "look for opportunities to assist these 
third parties in helping taxpayers understand and meet their tax 
obligations",[Footnote 49] per the IRS Strategic Plan, the IRS will 
"Strengthen partnerships with tax practitioners, tax preparers, and 
other third parties in order to ensure effective tax administration." 
[Footnote 50] Other objectives within the Strategic Plan dealing with 
outreach and issue resolution are also clearly, if not explicitly, 
related to the guiding principles of the TAB. 

Beyond the overarching IRS Strategic Plan, the IRS maintains linkages 
to the precepts of improving taxpayer service from the taxpayer 
perspective. Internal planning documents and budget proposals are 
linked to the IRS Strategic Plan. Insofar as the Strategic Plan 
embodies the goals and objectives of the TAB, these documents maintain 
reference to taxpayer-centric understanding and administration of 
taxpayer service first explored by the TAB and adopted in the IRS 
Strategic Plan. 

To further improve refund timeliness and reduce reliance on RALS and 
RACs, IRS should: 

Recommendation: 

Update and publicly release a report on RAL and RAC use; 

Comment: 

We agree in principle with the recommendation. As the 2006 report was 
driven by different factors, all affected areas within IRS will need 
to meet with the Government Accountability Office to define the scope, 
objectives, and intended audience of the report prior to beginning 
development. 

Recommendation: 
 
Work more proactively with FMS and ACH to help improve refund 
timeliness; and; 

Comment: 

We agree with this recommendation. The IRS and Financial Management 
Service already maintain a constant dialogue on issues, including 
refund timeliness. 

Recommendation: 

Determine the feasibility of offering debit card options for refunds. 

Comment: 

We are exploring a range of alternatives to deliver refunds to 
unbanked taxpayers. Included among those options are debit cards 
provided directly or through third parties, including participating 
partners and current industry participants. 

To reduce taxpayer confusion and enhance compliance with the 
eligibility requirements for higher education benefits, IRS should: 

Recommendation: 

Determine the feasibility of using current information reported on 
Form 1098-T, such as school location and taxpayer identification 
number or SSN, in IRS's compliance programs. 

Comment: 

The IRS agrees to consider the feasibility of using Form 1098-T 
information in Correspondence Examination. If we determine in Wage and 
Investment Compliance that it might be feasible, we will coordinate 
with Small Business/Self-Employed Division on actual use. 

Recommendation: 

Revise Form 1098-T to improve the usefulness of information on 
qualifying education expenses. 

Comment: 

Our Wage and Investment Compliance organization, in partnership with 
the Tax Exempt and Government Entities Division, will develop a plan 
to address possible changes to the Form 1098-T. As part of that plan, 
we will obtain feedback from educational institutions on changes that 
provide clarity and improve the usefulness of the form, including 
location of the educational institution. 

Finally, we continued to build on our Quality Review process. Since 
2004, the Treasury Inspector General for Tax Administration determined 
the accuracy of returns prepared by our volunteers based on a 
judgmental sampling of a small number of VITA/TCE sites and less than 
50 returns. In 2009, we worked closely with the IRS Statistics of 
Income Office to select a statistically valid number of VITA/TCE sites 
to perform return reviews. A centralized review cadre, known as the 
Quality Statistical Sample (QSS) reviewers, visited a statistically 
valid sample of VITA/TCE sites to review a sample of tax returns for 
accuracy. The data collected from these reviews was used to indicate 
an accuracy rate for all tax returns produced by the Volunteer 
Program. During the 2009 filing season, 679 returns were reviewed 
through this process, resulting in a 78.5 percent accuracy rate, with 
a 90 percent confidence level. We established a Quality Assurance 
Office for the FY 2010 filing season and will continue the QSS reviews. 

Website — The IRS website, IRS.gov, is consistently one of the most 
heavily used government websites. As of November 8, 2009, the website 
had been visited more than 275 million times. These visits resulted in 
more than 1.5 billion page views. Website visits and page views 
declined during 2009 most likely due to the passage of legislation 
which resulted in a spike in activity during 2008. Visits are the
measurements of actions beginning when a visitor views their first web 
page on IRS.gov and ends when the visitor leaves the website. 
Taxpayers and Practitioners also downloaded more than 176 million 
forms, publications, instructions, and other documents. 

We agree the Matter for Congressional Consideration noted in your 
report has merit and could further increase compliance and improve 
taxpayer service. 

Responses to your specific recommendations are enclosed. I appreciate 
your observations on the successful filing season for 2009. If you 
have any questions, please contact Robin L. Canady, Director, Strategy 
and Finance, Wage and Investment Division, at (404) 338-8801. 

Sincerely, 

Signed by: 

Steven T. Miller: 

Enclosure: 

[End of section] 

Appendix II: IRS's Existing and Suggested Math Error Authority for 
Enhancing Compliance: 

Table 8 below summarizes the Internal Revenue Service's (IRS) existing 
math error authority (MEA) as well as authorities we recently 
suggested that Congress provide to enhance compliance, including for 
certain tax credits. In addition, last year we recommended that the 
IRS Commissioner use existing MEA to identify and correct child and 
dependent care credit claims on "Married Filing Separately" returns 
and assess the effectiveness of combining the Federal Case Registry 
and other data on taxpayer characteristics to verify the eligibility 
of Earned Income Tax Credit claims from noncustodial parents.[Footnote 
51] 

Table 8: IRS's Existing and Suggested MEA: 

IRS's Existing Statutory Authorities for Math Error Checks: 

* An error in addition, subtraction, multiplication, or division shown 
on any return. 

* An incorrect use of any table provided by the IRS with respect to 
any return if other information in the return makes the incorrect use 
apparent. 

* An entry on a return of an item which is inconsistent with another 
entry of the same or different item on that return. 

* An omission of information which is required to be supplied on the 
return to substantiate an entry on that return. 

* An entry on a return of a deduction or credit in an amount which 
exceeds the statutory limit for that deduction or credit, if that 
limit is expressed as a specific monetary amount or as a percentage, 
ratio, or fraction, and if the component items of that limit appear on 
the return. 

* A correct Taxpayer Identification Number (TIN) not provided on the 
return as required for the: (1) Earned Income Tax Credit (EITC); (2) 
child and dependent care credit; (3) personal or dependent exemption; 
(4) child tax credit; (5) Hope and Lifetime Learning credits. 

* A return claiming an EITC for net earnings from self-employment, 
where the self employment tax imposed by 26 IRC § 1401 on those net 
earnings has not been paid. 

* An omission of information required for recertification of 
eligibility for the EITC. 

* An entry on the return of a TIN required for the EITC, the child 
credit, and the child and dependent care credit, when information 
associated with that TIN indicates the child does not meet the age 
eligibility requirements for those credits. 

* An entry on the return of a claim for the EITC where the Federal 
Case Registry of Child Support Orders indicates that the taxpayer is 
the non-custodial parent of that child. 

* A failure to reduce Economic Stimulus Package credit on a return 
related to the Economic Stimulus Act of 2008 by amounts previously 
advanced. 

GAO's Suggested Statutory Authorities: 

* Verify taxpayers' compliance with the 2008 first-time homebuyer 
credit payback provision.[A]. 

* Claims for the first-time homebuyer credit in multiple years.[A]. 

* "Catch-up" contributions to Individual Retirement Accounts (IRA) 
from taxpayers who are not eligible because of their age.[B]. 

* Contributions to traditional IRAs from taxpayers who are ineligible 
because they are over the age of 70-½.[B]. 

* Taxpayers' compliance with the number of years the Hope credit can 
be claimed.[C]. 

Source: GAO analysis and reports. 

[A] GAO-09-1026. 

[B] GAO-09-146. 

[C] Suggested in this report. 

[End of table] 

[End of section] 

Appendix III: IRS's Processing Performance Relative to 2004 Through 
2008 and 2009 Goals: 

As shown in table 9, the Internal Revenue Service (IRS) met or 
exceeded goals for six out of eight of its goals for the percentage of 
errors included in deposits and correspondence (which was separated 
into letter and notice errors in previous years); deposit and refund 
timeliness (i.e., interest foregone by previous years); productivity; 
and individual master file (IMF) efficiency. 

One measure where performance was significantly below IRS's goal and 
below last year's level was the correspondence error rate, the 
percentage of incorrect notices and letters issued to taxpayers. 
According to IRS officials, this resulted from a high number of 
erroneous notices sent to taxpayers claiming the recovery rebate 
credit early in the filing season.[Footnote 50] 

Table 9: IRS Processing Performance, Fiscal Years 2005 through 2009: 

Measure Name: Deposit error rate; 
Definition: Percentage of payments applied in error by, for example, 
reimbursing a taxpayer who overpaid when the taxpayer wanted the 
overpayment credited to next year's tax bill; 
Fiscal year 2005 actual: 2.2%; (+/-0.26%); 
Fiscal year 2006 actual: 1.6%; (+/-0.24%); 
Fiscal year 2007 actual: 1.3%; (+/-0.22%); 
Fiscal year 2008 actual: 1.1%; (+/-0.27%); 
Fiscal year 2009 actual (through August): .7%; (+/-0.20%); 
Fiscal year 2009 goal: 1.0%. 

Measure Name: Deposit timeliness - paper - individual master file 
(IMF); 
Definition: Interest foregone by not depositing monies the business 
day after receipt, per $1 million in deposits. Measure assumes an 8 
percent interest rate; 
Fiscal year 2005 actual: $390; 
Fiscal year 2006 actual: $354; 
Fiscal year 2007 actual: $331; 
Fiscal year 2008 actual: $290; 
Fiscal year 2009 actual (through August): $204; 
Fiscal year 2009 goal: $290. 

Measure Name: Correspondence error rate[A] (includes systemic errors)b 
IMF; 
Definition: The percentage of incorrect Submission Processing 
Masterfile notices and letters issued to taxpayers by the processing 
sites; 
Fiscal year 2005 actual: NA; 
Fiscal year 2006 actual: NA; 
Fiscal year 2007 actual: 4.3; (+/-0.38%); 
Fiscal year 2008 actual: 3.8%; (+/-0.36%); 
Fiscal year 2009 actual (through August): 5.41%; (+/-0.54%); 
Fiscal year 2009 goal: 3.67%. 

Measure Name: Refund error rate - individual (paper) (includes 
systemic errors); 
Definition: Percentage of refunds with IRS-caused errors in the entity 
information (e.g., incorrect name, Social Security number, or refund 
amount); 
includes systemic errors[B]; 
Fiscal year 2005 actual: 5.0%; (+/-0.48%); 
Fiscal year 2006 actual: 4.5%; (+/-0.46%); 
Fiscal year 2007 actual: 2.8%; (+/-0.36%); 
Fiscal year 2008 actual: 3.4%; (+/-0.52%); 
Fiscal year 2009 actual (through August): 1.95%; (+/-0.35%); 
Fiscal year 2009 goal: 3.3%. 

Measure Name: Refund interest paid; 
Definition: Amount of refund interest IRS paid per $1 million of 
refunds issued; 
Fiscal year 2005 actual: $29.21; 
Fiscal year 2006 actual: $30.12; 
Fiscal year 2007 actual: $39.60; 
Fiscal year 2008 actual: $24.16; 
Fiscal year 2009 actual (through August): $16.01; 
Fiscal year 2009 goal: $21.00. 

Measure Name: Refund timeliness - individual (paper); 
Definition: Percentage of refunds issued within 40 days or less; 
Fiscal year 2005 actual: 99.2%; (+/-0.18); 
Fiscal year 2006 actual: 99.3%; (+/-0.13); 
Fiscal year 2007 actual: 98.9%; (+/-0.19); 
Fiscal year 2008 actual: 99.1%; (+/-0.19%); 
Fiscal year 2009 actual (through August): 99.2%; (+/-0.18%); 
Fiscal year 2009 goal: 98.4%. 

Measure Name: Productivity 3; 
Definition: Weighted volume of documents processed per staff year 
expended at the processing centers; 
Fiscal year 2005 actual: 31,444; 
Fiscal year 2006 actual: 32,237; 
Fiscal year 2007 actual: 34,313; 
Fiscal year 2008 actual: 37,624; 
Fiscal year 2009 actual (through August): 47,040; 
Fiscal year 2009 goal: 45,663. 

Measure Name: IMF efficiency; 
Definition: Measure of Individual Master File returns processed per 
staff year expended; 
Fiscal year 2005 actual: 14,965; 
Fiscal year 2006 actual: 16,124; 
Fiscal year 2007 actual: 22,031; 
Fiscal year 2008 actual: 23,834; 
Fiscal year 2009 actual (through August): 23,596; 
Fiscal year 2009 goal: 23,692. 

Source: GAO analysis of IRS data. 

[A] The reported Correspondence Error Rate result is a weighted 
combination of the results of the Letter and Notice Error Rate 
Measures. The weights are based on the actual volumes of letters and 
Notices (as reported in Letter and Notice weighted reports). 

[B] Systemic errors are computer-generated errors over which a 
particular processing center would have no control. 

[End of table] 

[End of section] 

Appendix IV: IRS Toll-Free Calls and Percentage of Callers Seeking and 
Receiving Live Assistance for 2009 and 2008: 

During the 2009 filing season, the Internal Revenue Service (IRS) 
received most of the calls early on, with the heaviest call volume 
during February (see fig. 2 below). Most of the calls were related to 
taxpayers' need for authentication information and tax law changes. In 
contrast, during the 2008 filing season IRS received most of the calls 
after the filing season, between April and June and were primarily 
stimulus-related questions. 

Figure 2: Weekly Toll-free Calls and Percentage of Callers Seeking and 
Receiving Live Assistance from January 1 to June 28, 2009, and June 
30, 2009: 

[Refer to PDF for image: 2 combined vertical bar and line graphs] 

January 1 through June 28, 2008: Weekly calls on IRS's tax law and 
account assistance lines (in millions): 

Week ending January 5:
Caller abandons: 0.17; 
IRS disconnects or busy: 0.03; 
Automated calls answered: 0.05; 
Assistor calls answered: 0.33; 
Percentage of callers seeking and receiving live assistance: 77. 

Week ending January 12: 
Caller abandons: 0.26; 
IRS disconnects or busy: 0.01; 
Automated calls answered: 0.12; 
Assistor calls answered: 0.57; 
Percentage of callers seeking and receiving live assistance: 85. 

Week ending January 19: 
Caller abandons: 0.37; 
IRS disconnects or busy: 0.02; 
Automated calls answered: 0.45; 
Assistor calls answered: 0.7; 
Percentage of callers seeking and receiving live assistance: 86. 

Week ending January 26: 
Caller abandons: 0.45; 
IRS disconnects or busy: 0.02; 
Automated calls answered: 0.95; 
Assistor calls answered: 0.7; 
Percentage of callers seeking and receiving live assistance: 84. 

Week ending February 2: 
Caller abandons: 0.72; 
IRS disconnects or busy: 0.05; 
Automated calls answered: 1.38; 
Assistor calls answered: 1.01; 
Percentage of callers seeking and receiving live assistance: 82. 

Week ending February 9: 
Caller abandons: 0.87; 
IRS disconnects or busy: 0.05; 
Automated calls answered: 1.95; 
Assistor calls answered: 1.06; 
Percentage of callers seeking and receiving live assistance: 80. 

Week ending February 16: 
Caller abandons: 0.79; 
IRS disconnects or busy: 0.05; 
Automated calls answered: 2.08; 
Assistor calls answered: 1.07; 
Percentage of callers seeking and receiving live assistance: 82. 

Week ending February 23: 
Caller abandons: 1.1; 
IRS disconnects or busy: 0.17; 
Automated calls answered: 2.11; 
Assistor calls answered: 0.85; 
Percentage of callers seeking and receiving live assistance: 60. 

Week ending March 1: 
Caller abandons: 0.78; 
IRS disconnects or busy: 0.06; 
Automated calls answered: 1.79; 
Assistor calls answered: 1.13; 
Percentage of callers seeking and receiving live assistance: 81. 

Week ending March 8: 
Caller abandons: 0.65; 
IRS disconnects or busy: 0.03; 
Automated calls answered: 1.49; 
Assistor calls answered: 1.02; 
Percentage of callers seeking and receiving live assistance: 83. 

Week ending March 15: 
Caller abandons: 0.65; 
IRS disconnects or busy: 0.03; 
Automated calls answered: 1.36; 
Assistor calls answered: 1.08; 
Percentage of callers seeking and receiving live assistance: 84. 

Week ending March 22: 
Caller abandons: 0.7; 
IRS disconnects or busy: 0.03; 
Automated calls answered: 1.13; 
Assistor calls answered: 1.15; 
Percentage of callers seeking and receiving live assistance: 84. 

Week ending March 29: 
Caller abandons: 1.04; 
IRS disconnects or busy: 0.04; 
Automated calls answered: 1.24; 
Assistor calls answered: 1.43; 
Percentage of callers seeking and receiving live assistance: 77. 

Week ending April 5: 
Caller abandons: 0.91; 
IRS disconnects or busy: 0.04; 
Automated calls answered: 0.98; 
Assistor calls answered: 1.32; 
Percentage of callers seeking and receiving live assistance: 78. 

Week ending April 12: 
Caller abandons: 0.88; 
IRS disconnects or busy: 0.06; 
Automated calls answered: 0.94; 
Assistor calls answered: 1.4; 
Percentage of callers seeking and receiving live assistance: 80. 

Week ending April 19: 
Caller abandons: 1.3; 
IRS disconnects or busy: 0.49; 
Automated calls answered: 1.09; 
Assistor calls answered: 1.26; 
Percentage of callers seeking and receiving live assistance: 56. 

Week ending April 26: 
Caller abandons: 0.7; 
IRS disconnects or busy: 0.04; 
Automated calls answered: 0.95; 
Assistor calls answered: 0.98; 
Percentage of callers seeking and receiving live assistance: 78. 

Week ending May 3: 
Caller abandons: 1.83; 
IRS disconnects or busy: 0.34; 
Automated calls answered: 2.11; 
Assistor calls answered: 1.29; 
Percentage of callers seeking and receiving live assistance: 56. 

Week ending May 10: 
Caller abandons: 2.9; 
IRS disconnects or busy: 2.49; 
Automated calls answered: 3.41; 
Assistor calls answered: 1.19; 
Percentage of callers seeking and receiving live assistance: 32. 

Week ending May 17: 
Caller abandons: 3.6; 
IRS disconnects or busy: 3; 
Automated calls answered: 3.67; 
Assistor calls answered: 1.23; 
Percentage of callers seeking and receiving live assistance: 32. 

Week ending May 24: 
Caller abandons: 2.47; 
IRS disconnects or busy: 1.61; 
Automated calls answered: 2.84; 
Assistor calls answered: 1.13; 
Percentage of callers seeking and receiving live assistance: 39. 

Week ending May 31: 
Caller abandons: 1.83; 
IRS disconnects or busy: 0.9; 
Automated calls answered: 2.11; 
Assistor calls answered: 0.9. 
Percentage of callers seeking and receiving live assistance: 41. 

Week ending June 7: 
Caller abandons: 2.17; 
IRS disconnects or busy: 0.96; 
Automated calls answered: 2.24; 
Assistor calls answered: 1.01; 
Percentage of callers seeking and receiving live assistance: 40. 

Week ending June 14: 
Caller abandons: 2.35; 
IRS disconnects or busy: 0.71; 
Automated calls answered: 2.18; 
Assistor calls answered: 1.02; 
Percentage of callers seeking and receiving live assistance: 43. 

Week ending June 21: 
Caller abandons: 2.19; 
IRS disconnects or busy: 0.96; 
Automated calls answered: 2.02; 
Assistor calls answered: 0.97; 
Percentage of callers seeking and receiving live assistance: 39. 

Week ending June 28: 
Caller abandons: 2.15; 
IRS disconnects or busy: 0.97; 
Automated calls answered: 1.86; 
Assistor calls answered: 0.99; 
Percentage of callers seeking and receiving live assistance: 39. 

January 1 through June 30, 2009: Weekly calls on IRS's tax law and 
account assistance lines (in millions): 

Week ending January 3: 
Caller abandons: 0.03; 
IRS disconnects or busy: 0; 
Automated calls answered: 0.01; 
Assistor calls answered: 0.1; 
Percentage of callers seeking and receiving live assistance: 91. 

Week ending January 10: 
Caller abandons: 0.41; 
IRS disconnects or busy: 0.03; 
Automated calls answered: 0.1; 
Assistor calls answered: 0.65; 
Percentage of callers seeking and receiving live assistance: 75. 

Week ending January 17: 
Caller abandons: 0.29; 
IRS disconnects or busy: 0.02; 
Automated calls answered: 0.21; 
Assistor calls answered: 0.71; 
Percentage of callers seeking and receiving live assistance: 91. 

Week ending January 24: 
Caller abandons: 0.61; 
IRS disconnects or busy: 0.13; 
Automated calls answered: 0.86; 
Assistor calls answered: 0.75; 
Percentage of callers seeking and receiving live assistance: 68. 

Week ending January 31: 
Caller abandons: 1.51; 
IRS disconnects or busy: 0.19; 
Automated calls answered: 1.97; 
Assistor calls answered: 1.25; 
Percentage of callers seeking and receiving live assistance: 66. 

Week ending February 7: 
Caller abandons: 1.87; 
IRS disconnects or busy: 0.81; 
Automated calls answered: 2.71; 
Assistor calls answered: 1.43; 
Percentage of callers seeking and receiving live assistance: 52. 

Week ending February 14: 
Caller abandons: 1.59; 
IRS disconnects or busy: 0.43; 
Automated calls answered: 2.81; 
Assistor calls answered: 1.43; 
Percentage of callers seeking and receiving live assistance: 61. 

Week ending February 21: 
Caller abandons: 1.41; 
IRS disconnects or busy: 1.39; 
Automated calls answered: 2.71; 
Assistor calls answered: 1.09; 
Percentage of callers seeking and receiving live assistance: 39. 

Week ending February 28: 
Caller abandons: 1.53; 
IRS disconnects or busy: 0.48; 
Automated calls answered: 2.03; 
Assistor calls answered: 1.39; 
Percentage of callers seeking and receiving live assistance: 58. 

Week ending March 7: 
Caller abandons: 1.14; 
IRS disconnects or busy: 0.44; 
Automated calls answered: 1.65; 
Assistor calls answered: 1.3; 
Percentage of callers seeking and receiving live assistance: 62. 

Week ending March 14: 
Caller abandons: 0.84; 
IRS disconnects or busy: 0.04; 
Automated calls answered: 1.31; 
Assistor calls answered: 1.27; 
Percentage of callers seeking and receiving live assistance: 84. 

Week ending March 21: 
Caller abandons: 0.83; 
IRS disconnects or busy: 0.04; 
Automated calls answered: 1.16; 
Assistor calls answered: 1.21; 
Percentage of callers seeking and receiving live assistance: 83. 

Week ending March 28: 
Caller abandons: 0.9; 
IRS disconnects or busy: 0.03; 
Automated calls answered: 1.08; 
Assistor calls answered: 1.11; 
Percentage of callers seeking and receiving live assistance: 75. 

Week ending April 4: 
Caller abandons: 0.88; 
IRS disconnects or busy: 0.04; 
Automated calls answered: 0.95; 
Assistor calls answered: 1.18; 
Percentage of callers seeking and receiving live assistance: 78. 

Week ending April 11: 
Caller abandons: 0.81; 
IRS disconnects or busy: 0.04; 
Automated calls answered: 0.81; 
Assistor calls answered: 1.27; 
Percentage of callers seeking and receiving live assistance: 81. 

Week ending April 18: 
Caller abandons: 1.38; 
IRS disconnects or busy: 0.92; 
Automated calls answered: 0.95; 
Assistor calls answered: 1.56; 
Percentage of callers seeking and receiving live assistance: 53. 

Week ending April 25: 
Caller abandons: 0.65; 
IRS disconnects or busy: 0.02; 
Automated calls answered: 0.66; 
Assistor calls answered: 0.9; 
Percentage of callers seeking and receiving live assistance: 78. 

Week ending May 2: 
Caller abandons: 0.58; 
IRS disconnects or busy: 0.03; 
Automated calls answered: 0.59; 
Assistor calls answered: 0.85; 
Percentage of callers seeking and receiving live assistance: 80. 

Week ending May 9: 
Caller abandons: 0.54; 
IRS disconnects or busy: 0.02; 
Automated calls answered: 0.5; 
Assistor calls answered: 0.78; 
Percentage of callers seeking and receiving live assistance: 79. 

Week ending May 16: 
Caller abandons: 0.54; 
IRS disconnects or busy: 0.03; 
Automated calls answered: 0.45; 
Assistor calls answered: 0.78; 
Percentage of callers seeking and receiving live assistance: 79. 

Week ending May 23: 
Caller abandons: 0.51; 
IRS disconnects or busy: 0.04; 
Automated calls answered: 0.37; 
Assistor calls answered: 0.74; 
Percentage of callers seeking and receiving live assistance: 77. 

Week ending May 30: 
Caller abandons: 0.45; 
IRS disconnects or busy: 0.02; 
Automated calls answered: 0.31; 
Assistor calls answered: 0.66; 
Percentage of callers seeking and receiving live assistance: 78. 

Week ending June 6: 
Caller abandons: 0.5; 
IRS disconnects or busy: 0.02; 
Automated calls answered: 0.28; 
Assistor calls answered: 0.74; 
Percentage of callers seeking and receiving live assistance: 79. 

Week ending June 13: 
Caller abandons: 0.51; 
IRS disconnects or busy: 0.02; 
Automated calls answered: 0.25; 
Assistor calls answered: 0.68; 
Percentage of callers seeking and receiving live assistance: 74. 

Week ending June 27: 
Caller abandons: 0.46; 
IRS disconnects or busy: 0.02; 
Automated calls answered: 0.23; 
Assistor calls answered: 0.77; 
Percentage of callers seeking and receiving live assistance: 80. 

Week ending June 30: 
Caller abandons: 0.18; 
IRS disconnects or busy: 0.01; 
Automated calls answered: 0.09; 
Assistor calls answered: 0.34; 
Percentage of callers seeking and receiving live assistance: 83. 

Note: Weekly calls are those seeking tax law and account information 
assistance and do not include calls to IRS's compliance division. 

Source: GAO analysis of IRS data. 

[End of figure] 

[End of section] 

Appendix V: Key Facts on Selected Tax Benefits for Higher Education: 

Taxpayers can generally claim tax benefits to help offset qualified 
higher education expenses for an eligible student if the eligible 
student is the filing taxpayer, their spouse, or a dependent for whom 
they claim an exemption on a tax return.[Footnote 51] Tax benefits 
include credits, deductions, as well as a number of other programs to 
help taxpayers offset qualified education expenses. Unlike other 
student aid programs such as federal grants that offer assistance to 
the taxpayer in determining their entitlements, tax benefits require 
the taxpayer to understand the pertinent rules and, ultimately, choose 
the option that provides the most benefit.[Footnote 52] 

Information reported by educational institutions on the tuition 
statement (Form 1098-T) assists taxpayers in determining the amount of 
benefits to which they are entitled. Consequently, inaccurate 
information on the tuition statement may contribute to taxpayer 
confusion and result in taxpayers making less-than-optimal claims or 
being unintentionally noncompliant. 

Table 10 below provides information on tax benefits for education that 
are available to qualifying taxpayers for the 2008 and 2009 tax years. 

Table 10: Select Tax Benefits for Higher Education--Tax Year 2008: 

Tax benefit for education: Hope credit[A]; 
Relevant IRS form: 8863; 
Maximum amount of benefit: $1,800[B]; 
How long can benefit be claimed?: 2 years[C]. 

Tax benefit for education: Lifetime learning credit; 
Relevant IRS form: 8863; 
Maximum amount of benefit: $2,000[D]; 
How long can benefit be claimed?: no limit. 

Tax benefit for education: Tuition and fees deduction[E]; 
Relevant IRS form: 8917; 
Maximum amount of benefit: $4,000; 
How long can benefit be claimed?: no limit. 

Source: GAO analysis of IRS data. 

[A] Taxpayers cannot claim the Hope and Lifetime learning credit for 
the same student in the same year. The Hope credit has been changed 
for tax years 2009 and 2010, and referred to as the American 
opportunity tax credit. For example, for tax-years 2009 and 2010, 
generally 40 percent of the Hope credit is a refundable credit, which 
means that a person may be eligible to receive up to $1,000 even if 
they owe no taxes. Additionally, the term "qualified tuition and 
related expenses" is expanded to include expenditures for "course 
materials," which means books, supplies, and equipment needed for a 
course whether or not the materials are purchased from the educational 
institution as a condition of enrollment or attendance. 

[B] The maximum amount of the Hope credit increases to $3,600 per 
student attending an eligible education institution in the Midwestern 
disaster areas in the states of Arkansas, Illinois, Indiana, Iowa, 
Missouri, Nebraska, and Wisconsin. Under the American opportunity tax 
credit, the maximum amount increases to $2,500 and increases to $3,600 
per student attending an eligible education institution in the 
Midwestern disaster areas. 

[C] Under the American opportunity tax credit, for tax years 2009 and 
2010, the credit was expanded from a 2-year to a 4-year limit. 

[D] The maximum amount of the Lifetime Learning credit increases to 
$4,000 per return for students attending an eligible education 
institution in the Midwestern disaster areas. 

[E] Taxpayers cannot take both an education credit and tuition and 
fees deduction for the same student for the same year. 

[End of table] 

[End of section] 

Appendix VI: GAO Contact and Staff Acknowledgments: 

GAO Contact: 

James R. White, (202) 512-9110 or w [Hyperlink, whitej@gao.gov] 
hitej@gao.gov. 

Acknowledgments: 

In addition to the contact named above, Joanna M. Stamatiades, 
Assistant Director; Vida Awumey; John P. Dell'Osso; Kara Eusebio; 
Melanie D. Helser; Lina Khan; Kirsten B. Lauber; Angela Leventis; 
Natalie Maddox; Paul B. Middleton; Karen V. O'Conor; Sabine R. Paul; 
Neil Pinney; Sabrina C. Streagle; and Jessica Thomsen made key 
contributions to this report. 

[End of section] 

Footnotes: 

[1] Most taxpayers file their tax returns between January 1 and April 
15, which is the deadline for filing individual income tax returns. 
However, millions of taxpayers receive extensions from IRS, which 
allows them to delay filing until as late as October 15. 

[2] Millions of taxpayers qualified for the recovery rebate credit 
contained in the Economic Stimulus Act of 2008, Pub. L. No. 110-185, 
122 Stat. 613 (2008). Taxpayers who did not receive the full economic 
stimulus payment in 2007 can claim some or all of the unpaid credit on 
their 2008 return. The Housing and Economic Recovery Act of 2008 
included a first-time homebuyer credit of up to $7,500 for homes 
purchased in 2008 that must be paid back over 15 years, Pub. L. No. 
110-289, 122 Stat. 2654 (2008). The American Recovery and Reinvestment 
Act of 2009 increased the maximum credit to $8,000 and eliminated the 
payback provision for homes purchased before December 1, 2009, Pub. L. 
No. 111-5, 123 Stat. 115 (2009). 

[3] GAO, Refund Anticipation Loans, [hyperlink, 
http://www.gao.gov/products/GAO-08-800R] (Washington, D.C.: June 5, 
2008). 

[4] IRS is granted MEA in 26 U.S.C. § 6213(b). It can only be used for 
certain purposes specified by the Congress in 26 U.S.C. § 6213(g)(2). 
If it is not specified in the statute, IRS cannot pursue assessment 
and collection activities without issuing a statutory notice of 
deficiency. 

[5] See GAO, Tax Administration: Interim Results of IRS's 2009 Filing 
Season, [hyperlink, http://www.gao.gov/products/GAO-09-640] 
(Washington, D.C.: June 3, 2009); GAO, Tax Administration: 
Opportunities Exist for IRS to Enhance Taxpayer Service and 
Enforcement for the 2010 Filing Season, [hyperlink, 
http://www.gao.gov/products/GAO-09-1026] (Washington, D.C.: Sept. 23, 
2009); and GAO, First-time Homebuyer Tax Credit: Taxpayers' Use of the 
Credit and Implementation and Compliance Challenges, [hyperlink, 
http://www.gao.gov/products/GAO-10-166T] (Washington, D.C.: Oct. 22, 
2009). 

[6] GAO, Assessing the Reliability of Computer-Processed Data, 
[hyperlink, http://www.gao.gov/products/GAO-02-15G] (Washington, D.C.: 
Sept.1, 2002). 

[7] See GAO, Internal Revenue Service: Fiscal Year 2009 Budget Request 
and Interim Performance Results of IRS's 2008 Tax Filing Season, 
[hyperlink, http://www.gao.gov/products/GAO-08-567] (Washington, D.C.: 
Mar. 13, 2008). 

[8] Taxpayers with an adjusted gross income of $56,000 or less in 2008 
can access the Free File program offered through IRS's Web site. 

[9] IRS's highly complex, multibillion-dollar Business System 
Modernization (BSM) program is critical to (1) transforming the 
agency's manual paper-intensive business operations, (2) fulfilling 
its obligations under the IRS Restructuring and Reform Act, and (3) 
providing more reliable and timely financial management to allow IRS 
to better justify resource allocation decisions and budgetary 
requests. Despite progress in improving modernization management 
controls and capabilities and addressing long-standing financial 
management weaknesses, significant challenges and serious risks 
remain. (See GAO, High-Risk Series: An Update, [hyperlink, 
http://www.gao.gov/products/GAO-09-271] (Washington, D.C.: January 
2009). 

[10] [hyperlink, http://www.gao.gov/products/GAO-08-800R]. 

[11] GAO, Tax Administration: IRS's 2008 Filing Season Generally 
Successful Despite Challenges, although IRS Could Expand Enforcement 
during Returns Processing, [hyperlink, 
http://www.gao.gov/products/GAO-09-146] (Washington, D.C.: Dec. 12, 
2008). 

[12] The Economic Stimulus Act of 2008 mandated that IRS send stimulus 
payments to millions of households. Many taxpayers that were exempt 
from filing a tax return did file in 2008 to receive the stimulus 
payment. See [hyperlink, http://www.gao.gov/products/GAO-09-146]. 

[13] The original goal was 80 percent by 2007, but Congress revised 
the time frame to 2012. Pub. L. No. 105-206 (1998). See, for example, 
GAO, Tax Administration: Most Filing Season Services Continue to 
Improve, but Opportunities Exist for Additional Savings, [hyperlink, 
http://www.gao.gov/products/GAO-07-27] (Washington, D.C.: Nov. 15, 
2006). 

[14] GAO, Tax Administration: Many Taxpayers Rely on Tax Software and 
IRS Needs to Assess Associated Risks, [hyperlink, 
http://www.gao.gov/products/GAO-09-297] (Washington, D.C.: Feb. 25, 
2009). 

[15] During the 2009 filing season, the recovery rebate credit was 
available to taxpayers who did not receive the economic stimulus 
payment or who were entitled to an additional payment based on 
information on their tax year 2008 tax return. Millions of taxpayers 
made errors calculating credit amounts and received math error notices 
notifying them of the change(s) made to the return. 

[16] [hyperlink, http://www.gao.gov/products/GAO-09-640]. 

[17] This is based on the percentage of functions, forms, and 
transactions IRS reports having delivered to date. 

[18] The changes to CADE for the 2010 filing season will primarily be 
legislative changes and improvements to existing functions. 

[19] Business Systems Modernization funds (except labor costs) are 
unavailable until IRS submits a modernization expenditure plan to the 
congressional appropriations committees and obtains their approval. 
The appropriation that funds IRS requires GAO to review this plan. We 
have also initiated a more detailed review of the new strategy at the 
request of the House Appropriations Subcommittee on Financial Services 
and General Government and plan to report on the results of this 
review within the next year. 

[20] IRS subsequently reduced this goal to 68 percent in April 2009 
due largely to increased call volume related to electronic filing 
authentication and stimulus-related questions. IRS also increased its 
wait time goal, and the average time a taxpayer waits to speak with an 
assistor remains over 8 minutes, nearly twice the average wait times 
between 2005 and 2007. 

[21] Unlike last year, when so many calls came in after the filing 
season, between April and June, this year call volume was heaviest 
during February (see appendix IV for graphic illustrations of weekly 
call volume). 

[22] [hyperlink, http://www.gao.gov/products/GAO-09-1026]. 

[23] Contact Analytics is one of the 55 initiatives outlined in the 
Taxpayer Assistance Blueprint (TAB), and is directly linked to the 
Improving Taxpayer Services goal as well as the Electronic Interaction 
Enablement and Telephone Service Enhancements objectives. 

[24] See GAO, Quantitative Data Analysis: An Introduction, [hyperlink, 
http://www.gao.gov/products/GAO-10.1.11] (Washington D.C.: May 1992). 

[25] GAO, Earned Income Tax Credit: Implementation of Three New Tests 
Proceeded Smoothly, but Tests and Evaluation Plans Were not Fully 
Documented, [hyperlink, http://www.gao.gov/products/GAO-05-92] 
(Washington, D.C.: Dec. 2004). 

[26] The Keynote Government Index measures and benchmarks the 
performance of the home pages of 40 major U.S. federal government Web 
sites from the 10 largest U.S. metropolitan areas. 

[27] Volunteer sites are located in a variety of locations, such as 
community and neighborhood centers, schools, and other locations, some 
of which may be fairly remote. Further, many sites operate only for a 
few days and limited hours. 

[28] Mystery shopping involves IRS officials visiting volunteer sites 
posing as taxpayers to assess the experience of the preparers. Site 
reviews assess whether volunteer preparers were adhering to minimum 
quality standards required by all sites. Return reviews determine 
whether the tax law was applied properly for critical items and 
resulted in an accurate return based on the taxpayer interview and 
supporting documentation. However, because IRS's site and return 
reviews were based on a non statistical selection of returns prepared 
during visits to volunteer sites prior to the 2009 filing season, the 
results were not statistically valid or reliable. 

[29] According to IRS officials, IRS used a group of 22 specially 
trained tax specialists to visit a statistically valid sample of 
volunteer sites and generally perform three return reviews at each 
site in order to determine the overall accuracy of tax returns 
prepared at the volunteer sites. 

[30] In fiscal year 2008, IRS reverted back to its old methodology in 
an effort to capture the number of taxpayers assisted rather than, as 
in prior years, capturing services provided. 

[31] GAO, Agencies' Strategic Plans Under GPRA: Key Questions to 
Facilitate Congressional Review, [hyperlink, 
http://www.gao.gov/products/GAO/GGD-10.1.16] (Washington, D.C.: May 
1997). 

[32] [hyperlink, http://www.gao.gov/products/GAO-08-800R]. 

[33] GAO, Tax Administration: Interim Results of IRS's 2009 Filing 
Season, [hyperlink, http://www.gao.gov/products/GAO-09-640] 
(Washington, D.C.: June 3, 2009). 

[34] Report to Congress (2006). The report was submitted in response 
to a directive from Congress in the fiscal year 2006 Treasury 
Appropriation Act conference report. 

[35] Treasury's Financial Management Service is the primary disburser 
of payments to individuals and businesses on behalf of federal 
agencies. The Automated Clearing House network is a funds transfer 
system governed by a specific set of rules that provides for the 
interbank clearing of electronic entries for participating 
institutions. 

[36] FMS provides a variety of options to federal agencies for 
collecting and issuing payments. While IRS uses ACH to deliver most 
individual tax refunds, which takes 2 to 4 days, it uses FedWire to 
deliver refunds of more than $1 million, which are processed and 
delivered within the same day. While issuing refunds through FedWire 
costs slightly more per refund than ACH, the often high interest rates 
for RALs and RACs may make the increased cost of using FedWire a 
viable option for taxpayers. In addition to FedWire and ACH, FMS 
provides debit cards and other electronic methods that agencies use to 
process payments. However, IRS officials stated that because of the 
high costs involved, FMS discourages issuing FedWire payments less 
than $1 million. These costs occur because IRS must manually key enter 
the information to arrange FedWire payments and there is no large 
volume processing capability for payments. However, IRS officials 
reported that there is potential to automate and work with FMS to 
enhance the manual refund process for Fedwire. 

[37] In 2009, IRS partnered with JP Morgan Chase and other partners to 
pilot a refund debit card program at a limited number of volunteer 
sites. IRS did not cosponsor the Chase debit card program, nor did it 
advocate for any specific financial institution or debit card, but did 
share information with Chase to target cities with high RAL and RAC 
use. Further, individual volunteer sites had the option of not 
participating in the program. According to IRS officials, while the 
pilot program was characterized as a success--with 6 partners 
participating and 958 debit cards issued at 19 volunteer sites--no 
additional data about the program's success were collected. Further, 
the program will not be expanded. Instead, IRS reported that it will 
provide outreach and education, but it will be the responsibility of 
the partnering sites to establish and maintain relationships with 
financial institutions and IRS will not facilitate any kind of program 
nor advocate for any particular product. 

[38] Currently, individuals without an account at a bank, savings and 
loan, credit union or other financial institutions, sometimes referred 
to as the "unbanked," receive their tax refunds by checks mailed to 
their homes. While IRS has no plans to develop or deploy a debit card 
system, it has reported that payments made to debit cards could be 
sent over the same electronic network and direct deposits and thus 
would move at the same speed. However, to be as fast as direct 
deposit, debit cards would need to be in the possession of and 
activated by taxpayers at the time their refunds are made. Further, 
debit cards could offer unbanked taxpayers some of the same benefits 
of having a bank account. The balance of the taxpayer's refund after 
fees could be accessed by using the debit card at ATM machines and 
points of sale. Just before our report was issued, the Federal Deposit 
Insurance Corporation (FDIC) published an estimate of the number of 
unbanked households. FDIC estimated that 9 million households were 
unbanked (see FDIC, National Survey of Unbanked and Underbanked 
Households (Washington, D.C.: December 2009). 

[39] Report to Congress (2006). 

[40] GAO, Electronic Payments: Many Programs Electronically Disburse 
Federal Benefits, and More Outreach Could Increase Use, [hyperlink, 
http://www.gao.gov/products/GAO-08-645] (Washington, D.C.: June 23, 
2008). 

[41] On taxpayers under claiming tax benefits, see, for example, GAO, 
Student Aid and Postsecondary Tax Preferences: Limited Research Exists 
on Effectiveness of Tools to Assist Students and Families through 
Title IV Student Aid and Tax Preferences, [hyperlink, 
http://www.gao.gov/products/GAO-05-684] (Washington, D.C.: July 29, 
2005). 

[42] Special rules apply to students attending qualified education 
institutions in a Midwestern disaster area. Also, under the Recovery 
Act of 2009, for tax years 2009 and 2010, the Hope credit the maximum 
allowable amount most taxpayers can claim is increased from $1,800 to 
$2,500. 

[43] Under the Recovery Act of 2009, for tax years 2009 and 2010, the 
Hope credit was expanded from a 2-year to a 4-year limit (see app. V 
for details). 

[44] Qualified expenses are tuition and fees a student must pay to be 
enrolled at or attend an eligible educational institution, and other 
course-related fees and expenses only if the fees and expenses must be 
paid to the institution as a condition of enrollment or attendance. 

[45] 26 U.S.C. § 6050S requires educational institutions to provide 
information to taxpayers and IRS to assist both in determining the 
amount of qualified tuition and related expenses for which an 
education tax benefit is allowable. 

[46] Currently, educational institutions are required to report 
information on the form 1098-T for qualified tuition expenses as well 
as information on the institution itself and the student. These 
requirements include, for example, reporting name, address, and 
taxpayer identification number (TIN) of the institution; name, 
address, and TIN of the student; and amount of payments received or 
the amount billed for qualified expenses during the calendar year. 

[47] Under the Recovery Act of 2009, for tax years 2009 and 2010, the 
Hope credit was expanded to include as qualified tuition and related 
expenses any expenditures for course materials. These expenditures 
include books, supplies, and equipment needed for a course of study 
whether or not the materials are purchased from the educational 
institution as a condition of enrollment or attendance. 

[48] In a recent report, TIGTA recommended that IRS be provided with 
math error authority to disallow claims for the Hope Credit that are 
taken for more years than allowed by law. See TIGTA, Improvements Are 
Needed in the Administration of Education Credits and Reporting 
Requirements for Educational Institutions, Reference No. 2009-30-141 
(Washington, D.C.: Sept. 30, 2009). 

[49] Fifth TAB Guiding Principle. 

[50] IRS Strategic Plan, Goal 1, Objective 4. 

[51] The Federal Registry of Child Support Orders database includes 
information on non-custodial parents and other taxpayer 
characteristics for determining program eligibility. Also see GAO-09-
146. 

[52] During the 2009 filing season, the recovery rebate credit was 
available to taxpayers who did not receive the economic stimulus 
payment or who were entitled to an additional payment based on 
information on their Tax Year 2008 tax return. Millions of taxpayers 
made errors calculating credit amounts and received math error notices 
notifying them of the change(s) made to the return. 

[53] Limitations on whether a taxpayer can claim tax benefits include 
the taxpayer's income level, whether the taxpayer is listed as a 
dependent on another return, and residency status. Further, there are 
limitations on the number of tax benefits that can be claimed in 1 
year. For example, taxpayers cannot claim both the Hope credit and the 
Lifetime learning credit in 1 year. 

[54] [hyperlink, http://www.gao.gov/products/GAO-05-684] explains how 
the complex rules for determining benefits may lead taxpayers to make 
less-than-optimal benefit claims. 

[End of section] 

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