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:: Cost Segregation Audit Techniques Guide - Chapter 6.5 -
Statistical Sampling
APPENDIX - CHAPTER 6.5 -
STATISTICAL SAMPLING
A memorandum on
March 14, 2002 (which follows)
was issued to provide field
guidance on statistical
sampling. Examiners can also
contact their local Computer
Audit Specialist (CAS) for
assistance. Note that Attachment
A contains complex formulas and
can be viewed at the following
link:
http://www.irs.gov/pub/irs-utl/dir_use_prob_sampling.pdf
March 14, 2002
MEMORANDUM FOR INDUSTRY
DIRECTORS, LMSB
DIRECTOR, PRE-FILING & TECHNICAL
GUIDANCE, LMSB
FROM:
Keith M. Jones
Director, Field Specialists
SUBJECT: Field Directive on
the Use of Estimates from
Probability Samples
The purpose of
this memorandum is to establish
guidelines for the Internal
Revenue Service in evaluating
samples and sampling estimates
by taxpayers. These guidelines
are intended to promote
efficiency and consistency of
the probability samples
performed and examined by the
IRS. They are not intended to be
a technical position but to
provide audit issue direction to
effectively utilize our
resources. Further, as more
fully described below, they are
not intended to replace or
supersede specific statutory or
regulatory requirements for
substantiation or record
keeping.
Examiners
should perform a two-step
inquiry in evaluating a
taxpayer’s probability sample.
First, they should determine
whether the taxpayer has
appropriately used a probability
sample to support or be the
primary evidence of tax amounts.
Second, they should determine
whether the final answer
represents a valid estimate.
The
appropriateness of using a
probability sample is a facts
and circumstances determination.
Some of the factors to be used
in determining whether a
probability sample is
appropriate include the time
required to analyze large
volumes of data, the cost of
analyzing data, and other books
and records that may
independently exist or have
greater probative value.
Probability
samples generally should be
considered appropriate if there
is a compelling reason for their
use and taxpayers cannot
reasonably obtain more accurate
information. However,
probability samples generally
should not be considered
appropriate if evidence is
readily available from another
source that can be demonstrated
to be a more accurate answer, or
if the use of sampling does not
conform to Generally Accepted
Accounting Principles (GAAP).
Once examiners
determine that the use of a
probability sample is
appropriate, they should
determine the validity of the
final estimate. In general, an
estimate from a taxpayer’s
sample should be considered
valid (without regard to
adjustment(s) based on audit
issues) if all of the following
conditions are met.
-
The
taxpayer has maintained
all of the proper
documentation to support
the statistical
application, sample unit
findings and all aspects
of the sample plan. This
will generally include
all of the information
contained in Attachment
A to these guidelines.
The documentation
requirement helps insure
that the sample was
conducted in a manner to
support all the
necessary elements of a
probability sample.
-
The
estimate is based on a
probability (i.e.,
statistical) sample,
where each sampling unit
has a known (non-zero)
chance of selection,
using either a simple
random sampling method
or stratified random
sampling method.
-
The
estimate is computed at
the least advantageous
95% one-sided confidence
limit. The "least
advantageous" confidence
limit is either the
upper or lower limit
that results in the
least benefit to the
taxpayer. Recognizing
that many methods exist
to estimate population
values from the sample
data, only the following
estimators will be
considered for
acceptance. Variable
estimators permitted
include the Mean (also
known as the direct
projection method),
Difference (using
"paired variables"),
(combined) Ratio (using
a variable of interest
and a "correlated"
variable), and
(combined) Regression
(using a variable of
interest and a
"correlated" variable).1
Since the latter two
variable methods are
statistically biased, it
must be demonstrated
that such bias is
negligible before they
will be considered
acceptable. The formulas
for these estimators are
in the Technical
Appendix to these
guidelines and assume
sampling without
replacement. Attribute
estimators permitted
include (combined)
proportion or total
count.
The allowance
of a taxpayer’s estimate does
not correspondingly require
acceptance of the taxpayer’s use
of such estimate for the
determination of associated
adjustments, allocation, or
subdivision of the findings for
other purposes unless
statistically determined
according to these guidelines
and applied on a basis
appropriate for the
circumstances. These guidelines
address only the statistical
requirements that must be met
for a probability sample to meet
preliminary acceptance and are
not intended to further require
acceptance of individual sample
unit determinations. Valuation
or attribute determinations
remain subject to independent
verification along with other
non-statistical issues such as
missing sampling items.
Likewise, the statistical
procedures followed may be
examined and adjusted when
discovered in error. Corrections
to statistical methodology are
permitted where possible to
place the method in compliance
with these guidelines. Any fatal
error in statistical methodology
which renders the probability
sample invalid will preclude the
use of any statistical estimate
based on the sample and will
only allow for consideration of
the sample findings on an actual
basis. Where a probability
sample is determined to be not
appropriate and raised as an
issue, the examining agent may
pursue a more accurate
determination or allow the
findings of units examined on an
actual basis. However, the
computational validity of the
estimator should still be
considered and addressed along
with other alternative issues in
unagreed cases.
This memorandum
is not intended to supersede
formal regulations, rulings, or
procedures that address the
specific application of
statistical principles. It is
recognized that existing
industry practices and specific
taxpayers may be using
techniques that are not covered
by this directive or other
published documents. If a
taxpayer has employed a
probability sample or method not
covered, the estimate will be
referred to a Statistical
Sampling Coordinator for
resolution or issue development.
These
guidelines do not relieve
taxpayers of their
responsibility to maintain any
documentation required by
section 6001 of the Internal
Revenue Code, other sections, or
subsections, which have specific
documentation requirements for
the entire population. Issues
regarding documentation or
support may be raised as
appropriate.
This Field
Directive is not an official
pronouncement of the law or the
Service's position and cannot be
used, cited, or relied upon as
such.
Attachment
cc:
Commissioner and Deputy
Commissioner, LMSB
Director, Compliance, SBSE
Director,
Employee Plans, TEGE
Director, Exempt Organizations,
TEGE
Footnotes:
1. The
first variable used for the
difference, ratio and regression
estimators must be the variable
used in the mean estimator. The
second variable used for the
difference, ratio and regression
estimators must be a variable
that can be paired with the
first variable and should be
related to the first variable.
For example, in a typical
audit-sampling situation, the
first variable would be the
audited value of a transaction
and the second variable would be
the originally reported value of
the same transaction.
2.
[Standard Error of the Total "y"
Variables] / [Point Estimate of
the Total "y" Variables]. Where
the "y" variables are commonly
the reported values in
accounting situations.
3.
[Standard Error of the Total "x"
Variables] / [Point Estimate of
the Total "x" Variables]. Where
the "x" variables are commonly
the corrected values in
accounting situations.
4.
[Standard Error of the Total
"y-x" or Total "d" Variables] /
[(Total Population Value
Represented by "Y") – (Point
Estimate of the Total "y-x" or
Total "d" Variables)]. Where the
"y-x" variables are commonly
represented by the difference
("d") between the reported ("y")
and corrected ("x") values in
accounting situations.
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