Background and Financial History
IRS IRC § 42 Audit Technique Guide — Part I (Introduction and Pre-Contact Analysis) · 2026 edition · updated 2026-07-29 · United States
The taxpayer should provide background and financial information regarding the formation of the ownership entity and development of the project. The taxpayer should specifically discuss the development of the IRC §42 project, including:
The people and entities responsible for the planning and construction phases of the project, including the disclosure of related parties.
The services provided by the developer, the terms of the development contract, and to what extent the fee has been paid.
How the project was acquired; i.e., undeveloped land or land with improvements and existing buildings. The taxpayer should also explain how costs were allocated between land, nonqualifying land improvements, and depreciable residential rental property included in eligible basis.
The financial resources such as construction loans, permanent financing, grants, and funding from local, state, or federal programs.
The terms of IRC §42 credit allocation and any additional requirements imposed on the taxpayer by the state agency as part of the extended use agreement.
How the final cost certification was prepared.
The interview is also an opportunity for the taxpayer to answer any questions arising from a review of documents such as the partnership agreement, the prospectus or offering memorandum, the credit allocation application, market study, credit allocation award, final cost certification, or depreciation schedules. For example, if the depreciable basis on the depreciation schedules is substantially different than what is reflected on the final cost certification, the taxpayer needs to explain the differences in costs.
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Ask AI about this code▸ Contents — IRS IRC § 42 Audit Technique Guide — Part I (Introduction and Pre-Contact Analysis)
- IRC §42, Low-Income Housing Credit - Part I Introduction and P…
- Chapter 1 Introduction
- Topics
- Overview of the IRC §42 Program
- Types of Housing
- Combining with Other Tax Credits
- Computation of Allowable Annual Credit
- Eligible Basis
- Applicable Fraction
- Qualified Basis
- Applicable Percentage
- Compliance Requirements
- Credit Disallowance and Recapture
- State Housing Agency Responsibilities
- Qualified Allocation Plan (QAP)
- Allocating Credits
- Compliance Monitoring
- Reporting Noncompliance to the IRS
- Annual Report to the IRS
- IRS Responsibilities: Chief Counsel
- IRS Responsibilities: LIHC Compliance Unit
- Form 8610, with Form 8609 and Schedule A (Form 8610)
- Form 8823
- Form 8821
- IRS Responsibilities: Audits
- Summary
- Chapter 2 Pre-contact Analysis
- Introduction
- Topics
- Form 8609, Low-Income Housing Credit Allocation and Certificat…
- Amount of Credit Allocated
- Eligible Basis and Qualified Basis
- Applicable Percentage
- Type of Allocation
- Tax-Exempt Bonds
- Nonprofit Set-Aside
- Credit Period: BINs, Dates, and Elections
- Multi-Building Projects
- Minimum Set-Aside
- Property Address
- Form 8823, Low-Income Housing Credit Agencies Report of Noncom…
- Reconciliation to Forms 8609
- Rental Units
- Period of Noncompliance
- Categories of Noncompliance
- Dispositions
- Form 8609-A, Annual Statement for Low-Income Housing Credit
- Part I, Compliance Information
- Part II, Computation of Credit
- Balance Sheet
- Land Values
- Buildings and Other Depreciable Assets
- Accounts Receivable and Payable
- Schedule K and Schedule K-1
- Ownership By Individuals
- Prior and Subsequent Year Returns
- Related Returns
- Partners: Consistent Treatment
- General Partner: Additional IRC §42 Projects
- Risk Analysis
- Example 1: Estimating Potential Tax
- Initial Information Document Request
- General Information about the Taxpayer
- Tax Returns
- Eligible Basis
- Qualifying Low- Income Households
- 1st and 11th Year of the Credit Period
- Additions to Qualified Basis
- Examination of Income: Rents & Other Sources of Income
- Noncompliance
- Dispositions
- IDR & Crosswalk to Issues
- Summary
- Exhibit 2-1 IDR & Crosswalk to Issues
- General Information about the Credit Allocation
- Eligible Basis
- Qualifying Low- Income Households
- 1st and 11th Year of the Credit Period
- Additions to Qualified Basis
- Rents & Other Sources of Income (Minimum Income Probes)
- Noncompliance
- Dispositions
- Chapter 3 Audit Techniques
- Introduction
- Topics
- Interviewing Taxpayers
- Background and Financial History
- Business Practices
- Internal Controls
- Compliance with IRC §42
- Physical Maintenance
- Tenant Qualifications
- Tenant Files
- Rents
- Cash Flows
- Community Service Facilities
- Forms 8823
- Prior and Subsequent Year Tax Returns
- Large, Unusual, or Questionable Items
- Related Parties or Returns
- Touring IRC §42 Projects
- Preparing for Tour of an IRC §42 Project
- Physical Characteristics to Observe When Touring IRC §42 Proje…
- Rents
- Income Qualifying New Tenants
- Mixed-Use Projects
- Community Service Facilities
- Analyzing Results
- Case File Documentation
- Evaluating Internal Controls
- Control Environment
- Accounting System
- Control Procedures
- Testing Internal Controls
- Establishing Scope and Depth of the Audit
- Third Party Contacts
- Contacting State Agencies
- Other Third Party Contacts
- Summary