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Wednesday, June 18, 2025 Live Webcast

Tax Series with Ed Zollars: Scam Loss Deductions Under IRC Section 165: Did Your Client Fall for a Preferred Fraud Under the Law? (E2506244)

2:00 PM - 4:00 PM EDT
webcast

ON24

2 CPE Credits in TX

OVERVIEW

Gain a comprehensive understanding of the complex rules governing the deductibility of losses arising from scams under Internal Revenue Code (IRC) Section 165. With the prevalence of sophisticated fraudulent schemes, tax professionals must navigate the intricate legal framework, particularly in light of the significant changes introduced by the Tax Cuts and Jobs Act (TCJA).

DESIGNED FOR

CPAs and accountants specializing in tax

BENEFITS

Understand how to identify deductible losses, determine the correct timing and amount, navigate the “reasonable prospect of recovery” rule and meet rigorous substantiation requirements.

HIGHLIGHTS

The TCJA has largely suspended deductions for personal theft losses for tax years 2018 to 2025, making the proper classification of a loss under IRC §165(c)(2) as arising from a “transaction entered into for profit” the primary avenue for deductibility for many victims. This program will drawi on foundational principles, specific theft loss rules, the impact of the TCJA, and crucial IRS guidance like Chief Counsel Advice (CCA) 202511015 and the Madoff framework. Topics include the following:
  • Foundations of loss deductions under IRC Section 165: General Rules and Limitations for Individuals (§165(a), §165(c))
  • Defining "theft" for tax purposes and its broad interpretation for scams
  • Timing of theft loss deduction: The Discovery Rule (§165(e)) and the "No Reasonable Prospect of Recovery" Standard
  • Calculating the amount of deductible theft loss
  • Profound impact of the TCJA (§165(h)(5)) on suspending personal theft losses and the limited exceptions
  • In-depth analysis of the critical "Transaction Entered Into for Profit" Test (§165(c)(2)) post-TCJA
  • Navigating IRS guidance: Key insights from CCA 202511015 differentiating deductible investment scams from non-deductible personal scams (e.g., romance, kidnapping)
  • Understanding the Madoff Framework (Rev. Rul. 2009-9, Rev. Proc. 2009-20, Rev. Proc. 2011-58) for Ponzi schemes, including the optional safe harbor and its limitations for newer scam types
  • Practical considerations for CPAs: Determining the discovery year, documenting no reasonable prospect of recovery, meeting stringent substantiation requirements, and proper reporting on Form 4684

COURSE LEVEL

Basic

INSTRUCTOR

Edward Zollars

Edward K. Zollars, CPA
(4.8)

Tax and Technology Partner

Thomas Zollars & Lynch, Ltd.

Ed is a partner with the firm of Thomas, Zollars & Lynch, Ltd, in Phoenix, Arizona, and specializes in tax issues for closely held businesses and individuals. He has served on committees with the American Institute of CPAs' (AICPA) Tax Section and currently serves on the Arizona Society of CPAs' (ASCPA) legislative tax liaison committee. Ed has published tax podcasts on tax matters and is currently producing the weekly audio and video for the Current Federal Tax Developments podcast on current tax matters for Kaplan Financial Education and the related blog with regular tax updates throughout the week. Along with writing, editing and presenting courses for the past 15 years, Ed has written articles published in Practical Tax Strategies and The Tax Adviser. He is a frequent contributor to a number of online professional tax discussion groups, including the NJCPA Member Open Forum.

PRICING

$74.00 - Member

$139.00 - Nonmember

$0.00 - Pass Holder

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Note: Online pre-registration will close on June 18 at 2:00 PM.

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