This paper will discuss a business dispute between KPMG and the IRS. It will identify the "legal issue in dispute" as well as the legal process that was used to resolve the issue, and "how that process fits into the court structure" (Augenstein). Then, it will explain the civil and criminal aspects of the dispute. The paper will "compare and contrast possible outcomes if the dispute could be heard in both a criminal and a civil case", while addressing the differences between these types of actions (Augenstein).
On August 26, 2005, the Justice Department and KPMG settled their longrunning dispute over KPMG's aggressive tax shelters. After over seven years of legal battle, KPMG "admitted to criminal tax fraud and agreed to pay $456 million in penalties" (Business Week). The government is deferring prosecution and will drop the case after Dec. 31, 2006 if "KPMG stays out of the shelter business and cooperates with prosecutors in related cases" (Business Week).
If the case is dropped, KPMG will not be responsible for paying the hefty fine. Meanwhile, the government has also charged eight former KPMG partners and an outside lawyer in the case, which "is sure to send shock waves through the accounting and legal professions" by putting individuals on notice "that they are no longer immune to government prosecution" (Business Week). This paper will discuss the legal issues at the center of the KPMG dispute, focusing on the legal processes of both the criminal and civil components to the case.
Accountants owe a duty to "use reasonable care, knowledge, skill, and judgment when providing auditing and other accounting services to a client" (Cheesman). An
accountant's actions "are measured against those of a reasonable accountant in similar circumstances" (Cheesman). Accountants are expected to follow both generally...