The American Institute of CPAs has sent a
“Virtual currency transactions, in which taxpayers increasingly engage, add a new layer of complexity to the analysis of a client’s reporting requirements,” AICPA Tax Executive Committee chair Troy K. Lewis wrote in a letter last Friday. “The issuance of clear guidance in this area will not only reduce the confusion and burden for tax preparers but also allow taxpayers to accurately comply with IRS rules.”
Lewis noted that the IRS worked “expeditiously” to release guidance two years ago to frequently asked questions in
• Acceptable valuation and documentation;
• Expenses of obtaining virtual currency;
• Challenges with specific identification for computing gains and losses;
• General guidance regarding property transaction rules;
• Nature of virtual currency held by a merchant;
• Charitable contributions;
• Virtual currency as a “commodity;”
• Need for a de minimis election;
• Retirement accounts, and
• Foreign reporting requirements for virtual currency.
“These currencies, such as Bitcoin, operate in decentralized environments where no entity or person is in charge of controlling or monitoring the asset,” Lewis wrote. “Therefore, the currency appears to have no location, which is a characteristic that would complicate foreign reporting compliance.”