This notice provides information about additional criteria that will
be applied in considering proposals regarding accountable plans for the Internal
Revenue Service’s Industry Issue Resolution (IIR) program. The objective
of the IIR Program is to identify frequently disputed or burdensome tax issues
that are common to a significant number of business taxpayers that may be
resolved through published or other administrative guidance. See Rev.
Proc. 2003-36, 2003-1 C.B. 859.
During the IIR Pilot Program, the Service initiated a project involving
the tax treatment of employer reimbursements of various equipment-related
expenses to employees in a segment of the pipeline construction industry.
Whether or not such expenses are included in the employee’s income
and wages is governed generally by whether or not the employer makes payments
to the employee under an accountable plan in accordance with the requirements
of § 62(c) of the Internal Revenue Code.[2] The industry representatives maintained that their industry practice
made compliance with the accountable plan requirements unworkable. As a result
of the project, the Service published two pieces of guidance: Rev. Rul. 2002-35,
2002-1 C.B. 1067, making clear that expense reimbursement in the industry
is excluded from income and wages only if made in accordance with the accountable
plan requirements, and Rev. Proc. 2002-41, 2002-1 C.B. 1098, providing for
deemed substantiation of expenses at a specified rate to make it possible
for employers in the industry to comply with the accountable plan requirements.
Since the completion of the IIR pilot program, several submissions to
the IIR program have asserted that compliance with various aspects of the
accountable plan rules set forth under § 62(c) are unduly burdensome
for businesses in certain other industries and have asked for published guidance
providing administrative relief similar to that provided in Rev. Proc. 2002-41.
The Service provided guidance as part of the IIR pilot project for a
segment of the pipeline construction industry because the industry had successfully
demonstrated that employers could not comply with the existing accountable
plan rules given certain fundamental aspects of their industry practice that
could not readily be changed, if changed at all. For purposes of evaluating
future IIR submissions raising similar concerns about application of the accountable
plan rules in specific industries, the Service will make a comparable assessment
as to whether the accountable plan rules are unworkable given aspects of industry
practice that cannot be changed at all or cannot be changed without great
difficulty. In addition to the requirements of Rev. Proc. 2003-36, factors
to be considered in determining whether there is need for relief as to this
issue would include, but not be limited to the following:
(a) an established industry history showing that high turnover in the
labor force or short-term employment with multiple employers is typical;
(b) large expenses for maintenance, although infrequent, are predictable
relative to the compensation paid to the employees for their services;
(c) individual employers are unwilling to reimburse in full for sporadic
expenses for equipment maintenance because a significant portion of the reimbursement
will accrue to the benefit of a later employer/competitor;
(d) there is a uniformity of expenses across the workforce or the existence
of a uniform objective predictive proxy for measuring the expense, and
(e) existing methods of substantiating expenses, such as Rev. Proc.
2004-64, 2004-49 I.R.B. 898 (mileage allowances), do not accurately reflect
the expenses incurred by the employees on behalf of the employer.
The mere cost of collecting records, substantiating expenses and reconciling
the amount of expenses with the amount of reimbursements paid does not support
a claim of burden meriting relief from the requirements of the accountable
plan rules.
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