IRS - MSSP Restaurant and Bar ATG Final
IRS - MSSP Restaurant and Bar ATG Final
IRS - MSSP Restaurant and Bar ATG Final
NOTE: This guide is current through the publication date. Since changes
may have occurred after the publication date that would affect the accuracy
of this document, no guarantees are made concerning the technical
accuracy after the publication date.
www.irs.gov
Training 3149-118 (11-2002)
Catalog Number 83849L
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v 3149-118
BARS AND RESTAURANTS
Table of Contents
Page
CHAPTER 1, INTRODUCTION
History of the Bars and Restaurants ES&TG................................................1-1
Overview of the Industry ..............................................................................1-1
Method of Accounting ..................................................................................1-4
Using the Bars and Restaurants Guide..........................................................1-5
vii 3149-118
Page
CHAPTER 7, EMPLOYMENT TAX ISSUES
Package Audit ─ Internal Revenue Manuel...................................................7-1
Employment Tax Compliance .......................................................................7-2
Tip Income ─ Form 8027...................................................................7-2
Tip Rate Determination and Education Program
(TRDA and TRAC)........................................................................7-3
Discussion of McQuatters Formula ...................................................7-6
Employer Only FICA Assessments....................................................7-7
APPENDICES
ix 3149-118
CHAPTER 1
INTRODUCTION
The 2002 ES&TG Audit Technique Guide for Bars and Restaurants (the ATG)
replaces the prior guide for Bars and Restaurants that was last revised in 1995.
Changes to the ATG were necessitated by the passage of the IRS Restructuring
and Reform act of 1998 (RRA98), as well as advances in accounting technologies
used by restaurants. This Guide also considers relatively new examination
research techniques available to revenue agents, including the Intranet and
Internet. In the areas of employment taxes and tip reporting, this Guide takes into
account significant changes recently made to Tip Rate Determination Agreement
(TRDA) and Tip Reporting Alternative Commitment (TRAC) agreement.
Employers can now sign up for these agreements using the Internet. This Guide
considers these changes in statutes, technology and practice as they affect the
revenue agent and the bar and restaurant industry.
One goal of the ES&TG Program is to reduce audit cycle time by helping agents
become familiar with specific industries prior to starting an examination. This
reduction of audit cycle time is a key goal in establishing customer satisfaction. In
a recent national survey report of customer satisfaction, suggestions for
improvement included, "when an auditor does not understand the business he or
she is auditing, the outcome can be unfair. Appealing the outcome is out of the
question, because the loss of income in appealing is greater than the amount owed
the IRS." Understanding the industry being audited is essential to determining the
correct tax liability, fairly administering the tax laws, reducing audit cycle time,
and increasing customer satisfaction.
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Americans eat at a restaurant at least once a day, and the average person consumes
4.2 meals prepared away from home a week. On an average day in 1998, 21
percent of U.S. households used some form of takeout or delivery. The average
annual household expenditure for food away from home in 1998 was $2,030 or
$812 per person. The restaurant share of the food dollar is 45.8 percent. Yet, it is
also estimated that 80 percent of restaurants will close within 2 years of the date
they open for business.
Restaurants can be divided into two types of restaurants: fast food and full
service. Fast food restaurants include those that provide only take-out services, as
well as franchises offering -in or drive-through services. Generally, customers do
not tip employees of fast food restaurants. In contrast, full service restaurants and
bars are generally privately owned and few are part of larger chains. A restaurant
employee generally seats customers of full service restaurants. The menus and
service are more customized than those of fast food restaurants and customers
generally tip restaurant employees. The NRA states that average sales for full
service restaurants in 1998 were $601,000; average sales for fast food restaurants
in 1998 were $555,000. Also according to the NRA, the average per person check
in a fast food restaurant in 1999 was $4.72.
In general, full service restaurants are individually owned and fast food restaurants
are franchised. Franchisees typically pay a fixed percent of gross receipts to the
franchiser for advertising and royalties. Franchisees will also purchase their
inventory from franchisers and have their records regularly audited by the
franchiser. Some fast food franchisers also lease the restaurant building to the
franchisee for an additional monthly fee or percentage of sales. Internal controls
of franchised restaurants are generally extensive and designed to detect fraud,
waste, and theft. Individually owned restaurants may not have the same third
party verification of income and costs.
The NRA has also determined that more than 60 percent of restaurants maintain
an Internet web site. In fact, 13 percent of restaurant customers have used the
Internet to find information about a restaurant. Moreover, as many as 10 percent
of restaurant customers place orders over the Internet. Other restaurants permit
customers to fax food orders to the restaurant before the customers arrive. More
than two out of five households with a cell phone (41 percent) have used it to
place an order at a restaurant for takeout or delivery. Such advances in technology
are changing how restaurants service their customers. It is a challenge for both
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the restaurant owner and the IRS examiner to be certain that orders sent to the
restaurant over the Internet, by phone, or by fax are properly recorded and that
internal controls are maintained
Many states impose a sales tax on food. Some city/county governments also
impose a sales or excise tax on food in addition to that collected by the state.
Alcohol is also taxed and controlled by many state agencies. The examiner
should contact his or her local Fed/State Coordinator to obtain information from
state or local agencies that may be helpful in conducting the examination. IRS
Strategy, Research, and Performance Management (SRPM, formerly DORA) has
conducted studies comparing income reported on state sales tax returns with
income reported on Federal income tax returns, and sales of alcohol reported to
state liquor control boards with alcohol sales reported on Federal income tax
returns. The examiner should contact SRPM for information obtained from these
studies.
Some bar and restaurant owners may underreport income by any of several
methods. For example, they may operate open tills, use double sets of books, and
fail to report certain sales transactions. Restaurant employees may be aware of the
owner's underreporting, and may even have been asked to assist in the
underreporting of income. Additionally, a dishonest bar or restaurant owner may
encourage dishonest employees. Bar or restaurant employees may underreport
income by concealing cash receipts or underreporting tips.
The challenge for the examiner is to separate restaurant owners who are in
compliance with the tax laws from restaurant owners who have failed to satisfy
their tax obligations. To do this, the examiner should focus on 1) unreported
income by the restaurant, 2) cost of sales, and 3) unreported tip income by the
employees. While other issues may also be of concern to the examiner, these
three issues will generally need to be addressed in the audit of a restaurant.
The NRA publishes considerable information and various statistics regarding the
restaurant industry (See www.nra.com ). Additionally, many states have separate
restaurant associations with Internet links on the NRA website. These Internet
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resources may be helpful to the examiner involved in the audit of a restaurant, its
owners or its employees.
The IRS is trying to educate taxpayers within the bar and restaurant industry. For
example, the IRS often participates in State and National Restaurant and Food
Industry tradeshows. Another educational outreach effort is the restaurant cite on
the IRS Digital Daily web page at www.irs.gov. This web page contains
information available to the pubic regarding restaurants and tip income reporting,
and is linked to both the Small Business Administration and the NRA.
METHOD OF ACCOUNTING
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may exist as to timing, proper elections, and whether a business has qualifying
average sales.
This guide is intended to be used by revenue agents specializing in the bar and
restaurant market area, and by any other examiners working in this area. Since
these examinations focus on basic income and employment tax issues, examiners
with all levels of experience can use this guide. During the examination of bar
and restaurant returns, the examiner will likely encounter taxpayer books and
records of varying degrees of sophistication. Similarly, the examiners will likely
encounter bars and restaurants with varying degrees of internal controls. The
degree to which the examiner will limit or expand the scope of an examination
depends largely upon the extent of these internal controls. It is important to note
that if the examiner expands the scope of an examination to include employment
tax issues, he or she should coordinate the examination of those issues with the
area’s employment tax group.
The purpose of this ES&TG Guide is to help the examiner become familiar with
various accounting systems used by bars and restaurants, with issues common to
bars and restaurants, and with effective audit techniques. If the examiner is
familiar with these aspects of the audit, he or she can focus the examination
accordingly. This ES&TG Guide is not intended as a substitute for the examiner’s
judgment. Every issue and audit technique referenced in this Guide may not
necessarily apply to every bar and restaurant under examination. Additionally,
issues which are unique to the industry and for which the IRS has a national
coordinated position must involve the appropriate Headquarters ES&TG
Facilitator for SBSE or Industry Specialist for LMSB.
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CHAPTER 2
GENERAL INFORMATION
Many point-of-sales systems are also designed to record employees' time and tips
on a daily basis. This information is compiled for payroll accounting. Payroll
checks can be written based upon the information provided, and Forms 940, 941,
W-3, and W-2 can be prepared from the same computer program. This eliminates
the need for an outside payroll service. Beginning in April 2000, employers can
electronically transmit Forms 940 and 941 to the IRS. If the employer has more
than 50 Forms W-2, however, electronic submission to the IRS is mandatory.
Note to examiner: If you suspect that the computer program used by the taxpayer is not
recording all sales properly, a referral needs to be made for an IRS computer
examination specialist who will run an audit test of the computer program. If the
taxpayer is not properly using the program or doesn't know all of the reports that the
program can run, you may wish to contact or have the taxpayer contact a manufacturer
representative. Most programs made within the last decade run essential reports
necessary to properly determine the correct tax liability and to comply with tip reporting
requirements.
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Clearly, advances in technology have increased the amount of data that can be
collected by the restaurant owner, which can be used to comply with tax laws with
minimal effort and greater reliability. Such advances in technology are also
helpful to the examiner, who will need to complete fewer audit steps to determine
the reliability of a taxpayer’s books and records. Older accounting systems collect
less data and do not have the built-in internal control mechanisms of modern
point-of-sales systems.
The following is a list of possible books and records that will be found during the
examination:
1. Daily cash register tapes including credit card sales, credit card tips, cash
sales in total and by server
2. Deposit slips
3. Credit card and house account charge slips
4. Daily operating reports
5. Weekly profit and loss reports
6. Check register or copies of coded voucher checks
7. Bank statements for checking, savings, and all credit card sales
8. Bank reconciliation
9. Cash pay-out recaps (by account classification)
10. Inventory reports of food, liquor, beer, and wine done daily, weekly, and at
year-end
11. Purchases recap and unpaid bills recap (vendor and account classification)
12. Equipment purchases (include copy of invoice)
13. Payroll records including time cards and time sheet and payroll summary
14. Accrued payroll and payroll taxes entries
15. Monthly and/or quarterly tax returns
16. Annual tax returns including Forms W-2, 1099, 8027, and related entities'
tax returns
17. Books of original entry including: cash receipts journal; sales journal;
general ledger; and working trial balance
18. Monthly financial statements including income statement, balance sheet,
cash flow statement, and changes in financial position
19. Employee sales and tip report (daily, quarterly, and annual)
20. Menu engineers system report showing standard costs and sales price by
menu item.
Cash Payouts
Many taxpayers in the bar and restaurant industry keep daily envelopes with the
amount of cash paid out and the amount of cash taken in recorded on the
envelope. All invoices and receipts for the purchases of food and liquor are kept
in this daily envelope.
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Cash Register Tapes
Point-of-Sales System
A point-of-sales system typically records all sales by server and accounts for all
transactions. A point-of-sales system creates internal controls that are non-
existent without such a system. As an order is taken, the server records the order,
which is simultaneously recorded in another computer that the kitchen uses to
prepare the menu item. A ticket is printed and given to the cook to prepare the
menu item selected. Another ticket is printed which is given to the customer upon
payment. The server will note whether payment was made with a credit card or
cash and the amount of the tip. The tickets are consecutively numbered which
prevents servers from failing to ring up all sales without collaboration from the
kitchen (separation of duties). Another built-in control is that the server must
balance his or her sales against the cash register totals at the end of each shift in
order to be paid tips from credit card sales. Newer systems require that the server
report his or her cash tips on a daily basis at the time of balancing out. Newer
systems also keep track of daily credit card sales, cash sales, credit card tips, and
reported cash tips. Tips are reported to the payroll department. Newer systems
are integrated to eliminate the need for outside payroll services. They can send
information to a main terminal that can write payroll checks, complete and e-file
Forms 940, 941, W-2, and W-3 as well as state tax reports.
1. Require that the server report his or her cash tips daily during balancing out.
2. Keep track of daily credit card sales; cash sales, credit card tips, and reported
cash tips. The tips are reported to the payroll department.
3. Are integrated to eliminate the need for outside payroll services. They can
send information to a main terminal which can write payroll checks,
complete and e-file Forms 940 and 941, Forms W-2, and Forms W-3.
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INTERNAL CONTROLS
Normal internal audit controls of a restaurant cash register will dictate that the
restaurant owner never give the employee access to the "Z" key. The "Z" key will
clear data and destroy the life-to-date cumulative readings of the machines. If an
employee has access to the "Z" key, records of sales can be destroyed without an
audit trail, making employee embezzlement of income possible. Likewise, an
owner can also use the "Z" key for the same purpose, to destroy records of
recorded sales. The life-to-date cumulative readings should never be cleared.
Over-rings should be checked by management in a system which has internal
controls. A daily accounting of guest checks numbers for each employee needs to
be completed by the restaurant management in a system with good internal
controls. Failure to complete any of the above indicates a lack of internal
controls.
With older machines, the examiner needs to conduct audit tests to insure that
internal controls are followed. For example, the examiner should sample the
guest checks, compare them to the cash register tapes, and cross check the kitchen
guest checks with the cash register copies to insure all menu items are being rung
up. The examiner must discover and understand what procedures exist for credit
card sales, for employee tips, and for servers to obtain cash payouts from the till.
The examiner also needs to know how many employees have access to the till,
and if the till is left open on a regular basis. The examiner also needs to know
who has access to the "Z" key. A "Z" key is essential to knowing if all sales
recorded on the machine are being reported on the tax return. An examination test
may be conducted to determine if the "Z" key totals match the daily cash register
tape totals if the examiner suspects the cash register tapes do not reflect all sales
transactions recorded by the machine.
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When are deposits made? Are spotters ever used? Do the cashiers complete the
daily reports? Does the owner employ surprise cash counts? Does the owner use
spotting to be sure all cash transactions are being reported?
An examiner may not be certain that all sales are being rung up, that the owner is
not using two sets of records, that the owner is not using two machines, or that the
owner is not turning the machine off before the restaurant actually closes. For the
examiner to know if all transactions are actually being recorded, an audit test
check using the "Z" tapes needs to be run. The "Z" tapes contain the entire history
of all transactions entered on that particular machine. If necessary, contact the
manufacturer of the machine to provide instructions on how run a test using the
"Z" key as some owners are not familiar with using the "Z" key.
The initial interview will help to identify the internal controls around the cash
registers, but a sampling test of the procedures should be conducted by the
examiner to determine if the controls are functioning as the restaurant owner
represents.
POINT-OF-SALES SYSTEMS
Most of the newer point-of-sales systems are user friendly, allowing even a person
who isn't literate to operate the machine by simply hitting a picture of the menu
item when making a sale. Such simplicity minimizes personnel training. In an
industry with high employee turnover and a generally unsophisticated work force,
this is a cost savings device. The purchase of a point-of-sales system will usually
include a computer program and hardware. The cost of the system can range from
$5,000 to $40,000.
Employees sign onto the machines, which then track sales by individual
employee. At the end of the shift, employees sign out. Most machines prompt the
employee to report his or her tips for the day before the machines will allow them
to sign out. A daily printout can be made for both the employee and the office
showing the time signed in, all sales by credit card, credit card tips, cash sales,
reported cash tips, and time signed out.
There are two types of banking systems that a bar or restaurant can use, namely,
employee banking and cashier banking. The banking system used determines how
tips are handled.
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Employee Banking
Employees carry their own "pouches" or "purses" in which they keep money and
sales receipts. Each employee is issued a certain amount of money at the
beginning of each shift. This money is called a “bank.” Once this money is
issued, the employee owes the bar or restaurant the amount in the bank. That is,
the amount in the bank is regarded as a loan from the restaurant to the employee.
The employees use the money in their banks to close their own checks (menu
sales slips) and make change for customers. At the end of the shift the server
“cashes out” by returning the bank to the bar or restaurant. The cashier or
manager in charge of balancing out counts the money in the bank, subtracts the
money originally loaned to the employee, and reconciles sales slips to the machine
totals including credit card and cash sales. Then, the cashier or manager records
the employee's cash tips and pays the employee the amount of his or her credit
card tips. An employee Sales and Tip Total Report is run at the end of each
employee's shift. Since this information is recorded in the back office computer
or main terminal, the data can be accumulated and compiled to complete Forms
941, W-2, and 8027.
In this system of banking, the employee is considered to have reported his or her
tips to the employer on a daily basis rather than on a monthly basis. At the point
when the employee cashes out, the employer is liable for reporting the tips to the
IRS on Form 941. The employer is aware of the amount of the employee’s credit
card tips, as well as the amount received by the employee in cash tips. However,
if the employee physically hides cash from the employer at the end of the day,
when the employee cashes out, then the employer is not liable for the employee’s
underreporting of the cash tips or the FICA tax on the underreported tips.
If the employee reports no cash tips, and the employer operates a large food or
beverage establishment under IRC section 6053(c)(4), then the employer may be
required to allocate 8 percent of sales as tip income to the employee and include
the allocated tips on the employee’s W-2. Unless the employee keeps proper
records of actual tips received, the employee is required to include allocated tip
income on his or her personal tax return and pay the employee’s share of FICA tax
on the allocated tips. The examiner should review Publication 531 on "Reporting
Tip Income" for information regarding allocated tips.
Cashier Banking
In a cashier banking system, the server does not handle cash or record sales.
Instead, an appointed person such as a cashier, manager, or bartender rings up all
sales, records the payment from the customer, and issues and receives all cash to
"close the guest check." In this system, the server punches the sale into the
register, and a guest check is printed out showing the menu item and cost. It is
also sent to the kitchen for meal preparation. When the customer is finished with
the meal and is ready for the bill, the server delivers the guest check to the
customer. The server receives payment from the customer. The server gives the
money and the guest check to the cashier who rings up the sales and records the
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payment via credit card or cash and gives the cash back to the server to return to
the customer or the credit card slip for the customer to sign. When the final sale is
closed the cashier rather than the server completes it. The system tracks each
server's charged tips and autogratuities. At the end of the shift, the cashier runs a
report of the server's sales and credit card tip total. The server is asked to report
cash tips before the system will pay the credit card tips to the employee. The
cashier then pays the credit card tips and the autogratuities to the server
This system removes the server from control of funds. Control is placed in the
hands of a designated employee such as a cashier. If the machine is not
programmed to prompt the cashier to request the server to report his or her cash
tips prior to cashing out, then this data may not be routinely collected. Most of
the newer systems have a built-in prompt that will prevent the server from being
paid his or her credit card tips without first reporting cash tips. The system does
not prevent the server from failing to claim all of the cash tips he or she received.
However, the system normally results in 100 percent accuracy with respect to
credit card tips. As previously discussed, if the server reports no tips, the
employer may be required to allocate tips at a rate of 8 percent.
Note: (Even if the employer allocates tips at an 8-percent rate, employees are
still required to keep records of tips and to report 100 percent of the tips to the
IRS on their individual income tax returns. If the employee has not reported all
of the tips to the employer, then the employee reports 100 percent of the tips
received to the IRS by completing Form 4137 with his or her return.)
This report may be compiled for each payroll period, quarter, or taxable year in a
point-of-sales system. The Form 8027, "Employer's Annual Information Return
of Tip Income and Allocated Tips," can easily be completed by running a simple
report showing total sales, credit card sales, credit card tips, cash sales, and
reported cash tips. Proper withholding of income tax and FICA against
employees’ earnings can be calculated with the information gathered. Proper
reporting of the tips received and employment taxes withheld can be made on the
quarterly Form 941 as a result of the information collected from an updated point-
of-sales system. If the tips are allocated, IRC section 6053(c)(2) and Treas. Reg.
section 31.6053-3(b)(1) and (2) require that the employer furnish the employee
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with a written statement showing the total tips allocated to the employee for the
calendar year. This amount is required to be reported on Form W-2. The point-of-
sales system calculates both the amount to be reported to the employee at payroll
and the amount to be reported on Form W-2, saving time and expense in
complying with tax reporting requirements.
Reports can also identify the gross profit percentage of each menu item. As
certain inventory costs go up, the owner can be alerted to these increases for
purposes of determining whether to drop a menu item or increase its sales price.
Treas. Reg. sections 31.6053-1 and 31.6053-4 permit electronic reporting of tip
income. An employer can adopt a system under which some or all of the tipped
employees furnish their tip statements electronically. If the employer provides
employees with a copy of the daily record of tips based on entries made by the
employee in the employer's electronic reporting system, and otherwise satisfies the
reporting requirements, the entry on a daily record will satisfy the substantiation
requirements. For example, an employee may enter tips in the electronic system
at the end of each shift and not provide the employer with a signed paper record of
tips. At the end of each payroll period, the employer provides the employee with
a paper record that includes all the information to satisfy the substantiation
requirements and shows the total amount of tips reported for each day during the
period based upon the employee's entries. If the employee retains the employer
generated paper record, Treas. Reg. section 31.6053-4(a)(2) provides that
substantiation requirements are met. The paper record must, however, contain the
following:
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1. the employee's name and address, the employer's name and name of the
establishment;
2. for each workday, the amount of cash tips and charge tips received directly
from the customer or other employees;
3. for each workday, the amount of tips paid to other employees through tip
sharing or pooling and the names of those employees;
4. The date each entry of the record was made.
Under Treas. Reg. section 31.6053-4(a)(2) such records made at or near the time
the tip income is received are considered to have a high degree of credibility.
OPERATING RATIOS
Most successful restaurants analyze costs by using operating ratios and, based on
this data, making adjustments as needed to maintain profits. Usually, a company
with a point-of-sales system will have the data already input into the system from
which reports can be run. Some systems even complete a ratio analysis as an
operating report. Many of the ratios themselves are useful only when compared to
industry averages. The NRA has compiled statistics gathered from thousands of
restaurants to create industry averages. Some of these statistics are listed in
Appendix V at the end of this ES&TG Guide.
For the examiner to determine if the restaurant under examination falls within the
industry averages, certain data must be obtained during the initial interview and
tour of the business. For example, the examiner needs to discover the number of
seats available to customers in the restaurant, the number of employees who work
in the restaurant during a regular day (employee equivalent), and the square
footage of the restaurant.
The use of statistical and ratio analyses is useful to the examiner in analyzing
large and unusual items and in focusing on which items on the return to examine
and the scope of that examination. Statistical and ratio analyses are not tests of
the reliability of reported income or expenses and cannot be substituted for an
income probe audit step. Rather, the use of statistics and ratio analysis may
indicate that additional audit steps are warranted. The examiner still needs to
perform audit tests to determine if the taxpayer’s books and records can be relied
upon and must use direct or indirect methods to determine gross income. If
necessary, however, ratios can be used to support audit conclusions arrived at
using these methods.
Ratio patterns can indicate unreported income and suggest a need for additional
income probes. For example, an analysis of a restaurant return indicates that the
restaurant has suffered losses for 3 consecutive years or longer and has a high ratio
of cost of goods sold to sales. It is reasonable to question the source of the cash
necessary for the restaurant to continue operating under these circumstances.
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Inspecting the cash flow statement may pinpoint potential sources and assist in
preparing a Source and Application of Funds.
Additionally, if the ratio of sales per employee is low relative to the industry, it
may be useful to inquire about the turnover ratio of the employees. If, by
inspecting the Forms W-2 and payroll records, it appears that the turnover ratio is
high, it may be reasonable to assume that the recurring cost of employee training
is the cause of the relatively low sales per employee. A restaurant with high
employee turnover may not be entitled to take the Work Opportunity Credits or
the Welfare to Work Credit. (See IRC sections 51 and 51A.)
3149-118 2-10
CHAPTER 3
IRM 4.10.2.6.1 discusses the need to pre-select issues “…so that, with reasonable
certainty, all items necessary for a substantially proper determination of the tax
liability have been considered.” Examiners are then expected to use their
professional judgment to adjust the audit scope throughout the examination
process as the facts and circumstances warrant. Consideration should also be
given to IRM 4.10.2.6.1.1 and the appropriate use of limited scope examinations.
Due to the cash intensive nature of the industry, it may be that income, cost of
goods sold, and employment taxes are the only significant issues. If so, the audit
scope may be limited to these three issues. If there are other large, unusual or
questionable items, those issues should be addressed as well. The examiner's
focus should be on the issues that will allow a determination of the “substantially
correct” tax for all taxpayers.
As with any pre-audit plan, an analysis of the tax return should be conducted for
potential issues. Ratio and statistical analyses will likely be very helpful in this
regard. One form of such analysis, comparing amounts over time, will give
meaning to changes that took place over time. Additionally, various ratios and
statistics based on a taxpayer’s financial information may be compared to those
compiled by the NRA. A sample of the statistics published by the NRA can be
viewed on its website: www.nra.com. Large percentage changes or percentages
that are not standard for the industry can be highlighted as potential issues and
areas where the initial interview should focus
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Gross Sales - Cost of Goods Sold
───────────────────── = Gross Profit Ratio
Gross Sales
This ratio tells us approximately how much of an item's sale price represents gross
profit and how much is a recovery of the cost of the item. During the initial
interview, the taxpayer should be asked the mark-up percentage on goods sold.
The percentage obtained from the interview can be compared to the computed
ratio. A large disparity between these figures may indicate that cost of goods may
be overstated or revenues understated.
Some restaurants use their own statistics in menu pricing. Menu pricing
determines the cost of a menu item by identifying the various inventory items it
contains and taking into account the cost of each inventory item. This allows the
restaurant owner to determine a profitable selling price for the menu item with
considerable accuracy. Menu pricing can be done manually or formulas can be
programmed into the point-of-sales system. With a point-of-sales system, each
item on the menu can also be tracked to see how frequently it is sold. Menu
items with low sales or low profit margins can then be dropped. Take, for
example, the sale of one hamburger. The cost of the meat, bun, vegetables, and
spread can be determined. If that cost is $1, and the owner wants to make a 50-
percent profit or mark-up over cost, then the item should sell for $1.50 with a 50-
cent profit on each item sold. If the point-of-sales system shows that the
restaurant sells very few hamburgers, that item may be dropped from the menu in
favor of other items, which can be sold in greater numbers.
Many point-of-sales systems compute ratio analyses for the taxpayer in order to
monitor costs and mark-up percentages. If the taxpayer can provide the examiner
year-end financial ratios generated by the system, an audit step is saved and the
examiner can begin analyzing the ratios provided. Ask the taxpayer if he or she
uses menu pricing or is able to obtain system-generated financial ratios. The
owner may need to contact the manufacturer's representative for the system, or
read the owner's manual, to determine how to generate financial ratios.
Another report that most point-of-sales systems will print out is a "menu engineer
report." While this report may go by another name, it will print out the standard
food and alcohol costs for each menu item and the standard sales price for each
menu item. The examiner needs to ask for this report even if the taxpayer doesn't
use it. It will provide guidance as to whether the costs and sales prices are in line
with the standard program provided by the manufacturer.
Appendix 4 provides a list of various financial ratios and how each is computed.
Statistics provided by the NRA are also included in that Appendix. Updated
statistics can be obtained from the NRA website.
3149-118 3-2
IRS Research
Research IDRS, Forms 8300, Forms 1099 and Forms W-2, and other sources as
appropriate for the entity under examination. Note: Forms 8027, “Employer’s
Annual Information Return of Tip Income and Allocated Tips,” are not currently
available on IDRS. Check with your local Tips Coordinator to determine if the
restaurant under examination is filing these forms.
As a mandatory pre-audit step, contact the local Tips Coordinator for your
territory to determine if the bar or restaurant under examination has a current
TRDA or TRAC agreement, or if they have ever been contacted or recently
contacted about such an agreement. (See Chapter 7 of this ES&TG Guide for a
discussion of TRDAs and TRACs.) The National Office has issued guidelines
requiring that no TRDA or TRAC be offered to the taxpayer after it has been
contacted for an income tax examination. (See Memorandum for Regional Chief
Compliance Offers dated September 11, 2000 on the IRS Bulletin Board.) If there
is a TRDA or TRAC agreement in process at the beginning of an income tax
examination, the income tax examination will not be delayed. Instead, the tip
examination will be delayed by the time specified in the TRAC or TRDA
agreement. A taxpayer cannot request a TRDA or TRAC agreement after the
income tax examination has started. If the examiner determines that a tip audit is
necessary, he or she should work with the local area Tips Coordinator and
employment tax group manager to complete that audit.
Research the bar or restaurant’s background information using the Internet. Does
the bar or restaurant have its own website? Are there related entities? Is this
restaurant mentioned in news services? Refer to Appendix VI for some useful
websites. The IRS website www.irs.gov has a new icon for Small Business
specifically divided by market segments. Research the IRS "Restaurant" site for
updates on IRS issues and industry issues.
Public records research does not require third-party notification. (See IRC section
7602(c) and IRM 4.10.1.6.12.) The examiner’s discretion and the specifics of the
examination determine the extent to which background research should be
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conducted using public records. It is an optional audit step that can be performed
after the initial interview and preliminary audit steps are completed. For example,
if the bar or restaurant either has no records or is not making records available to
the examiner, the examiner will have to reconstruct income from third party
sources. Public records may help to reconstruct income and expense, trace assets,
etc. It may also be necessary to contact state liquor control boards, state auditing
divisions, court cases, Bankruptcy Court records, etc. The following is a list of
possible public record resources, many of which can be accessed via the Internet.
If you have reason to believe that the taxpayer may be underreporting his or her
income, you may be able to confirm (or rule out) such underreporting by
contacting third parties. Before you initiate a third party contact, make certain that
3149-118 3-4
you have followed the requirements of IRC section 7602(c) and IRM 4.10.1.6.12.
If you have any questions regarding third party contacts, you should direct them to
your local Associate Area Counsel office.
The following are possible third party sources of information that can aid you in
the examination of bar and restaurant returns. All of this information may not be
available in your state or it may be organized differently. You should research the
sources available in your state to determine what information is available.
Permits required by the State That is, building permits, Health Dept.
permits, or blueprints of the establishment
which has the initial basis of the building, or
certification of occupancy permits.
Pre-audit Cash T
Conduct an initial "cash T" based upon the information gathered and what is
reported on the tax return. Update the "cash T" after additional information is
gathered from books and records during the examination phase. Personal living
expenses can be requested of the taxpayer only after the initial interview and tour
of premises reveals a lack of internal controls and there are indications of
unreported income on a Schedule C audit or the examination has been extended to
include the shareholder/partner.
Initial Contact
Schedule the initial contact with the taxpayer by phone and set up initial
appointment and interview. Share preplanned issues. Schedule a meeting with
the person most knowledgeable about the day-to-day operations of the restaurant.
Arrange for a tour of the business. Have the Information Document Request
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(IDR) prepared before the initial phone call. Adjust the request as needed before
sending to the taxpayer.
The IDRs should be prepared using Form 4564. Form 4564 serves the following
purposes:
3149-118 3-6
Figure 3-1
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INITIAL INTERVIEW ─ IRM 4.10.3.2
The initial interview should be conducted with the owner of the establishment. If
the owner (or majority shareholder) does not work in the bar or restaurant, the
manager who knows its day-to-day operations should also be interviewed. The
primary objective is to acquire general information about the establishment and its
normal operations. Information such as gross profit ratios, mark-up percentages on
food and alcohol, and costs of food or alcohol items need to be addressed in the
initial interview. The initial interview will help the examiner gather the
information necessary to identify internal controls present in the bar or restaurant.
Based upon these internal controls, the examiner will determine the extent of the
income probe to use. Per IRM 4.10.4.4.3, strong internal controls generally
suggest minimum income probes, while poor internal controls generally necessitate
the use of at least one indirect method and/or third party contact.
A well-conducted initial interview will help the examiner focus the examination
on the relevant issues necessary to determine the taxpayer’s correct tax liability.
A poorly conducted interview or an interview in which the owner and/or on-site
manager are not present will require additional audit steps to obtain the
information necessary to determine the taxpayer’s correct tax liability. This will
create delays in the examination. It is important that this is conveyed to the owner
and/or his or her representative to expedite the examination and to avoid
unnecessary delays. If the owner or manager familiar with day-to-day operations
doesn't want to appear for an interview, consider the use of a summons. However,
before you serve this summons, make certain that you are familiar with the
requirements for an effective and enforceable summons. (See IRC sections 7602,
7603, 7605 and 7609, as well as IRM Handbook 109.1.) If you have any
questions regarding the use of a summons, contact your local Associate Area
Counsel office.
See Exhibit 3-1 for a sample of questions prepared for an interview of a bar and
restaurant establishment. You may want to add, subtract or reorganize the
questions depending on the particular circumstances of your examination.
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TOUR OF THE BUSINESS PREMISES ─ IRM 4.10.3.3
Prior to the tour, ask for a copy of the food and bar menus and a depreciation
schedule. During the tour, note the following:
1. Number of chairs and tables. (Note: the NRA has compiled statistics on the
average sales per year per chair based upon the type of restaurant. This
information is necessary to conduct ratio analysis).
2. Location of the cash registers.
3. If the cash registers are left open at all times.
4. Which employees have access to the sales registers.
5. Where the register inputting to the kitchen is located.
6. If a buffet or individually prepared meals is being sold. The number of sales
of individually prepared meals can be accounted for by the kitchen, but not
for a buffet style meal. The kitchen can estimate the number of meals
served based on leftover food.
7. If there is a banquet room and how many seats are available.
8. If there is a bar and whether food is served in the bar.
9. How the bar sales are rang up, and how inventory is controlled.
10. If décor is appropriate to depreciation schedule.
11. If items on depreciation schedule are missing from tour and inquire as to
why. Notice if items of equipment are in the restaurant but not on the
depreciation schedule. Inquire as to why.
12. If there is a computer in the back office attached to the registers. Have the
owner explain how the sales entered into the cash register machine get
posted to the main office computer.
13. If there are vending machines in the restaurant, how many, and type.
14. What credit cards the restaurant is accepting. Usually a list of which credit
cards are accepted is located near the door or near the main register.
Request credit card monthly statements to insure all credit card sales are
being reported.
15. If pull-tabs are being sold.
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16. If video games are installed and income reported.
17. Ask the taxpayer to show where cashier machines are located and how the
sales are handled, controls, where data is entered and rung up. Look at the
keyboards and get a demonstration of what reports that particular machine
can run. (Note: more sophisticated point-of-sales systems mean better
records and a better system of internal control. Obtaining this information
up front is essential to know whether to limit or expand the examination).
PACKAGE AUDIT
3149-118 3-10
Exhibit 3-1 (1 of 6)
Taxpayer Name:
Examiner:
Form/Years:
Date:
Workpaper Title: Initial Interview
Interview conducted with:
Interview conducted at:
Ownership
· Who are the shareholders in the S-Corp/C-Corp, percent ownership, duties,
· hours worked, days worked?
· Who are the beneficiaries/partners in Trust/Partnership, if any?
· What are the related return/transactions – that is, is rent paid to a related person?
(Obtain copies)
Description of Business
Type of Restaurant
Type of menu?
What is the entertainment?
Banquets available during normal operating hours? Any during off-hours?
Hours of operation?
Days open?
What type of clientele frequents the restaurant?
Who is the accountant, if changed why?
What did the accountant do? That is, return preparation only? books and records?
Who was the bookkeeper in xxxx? If different than present, why did the prior bookkeeper
leave? How long worked?
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Exhibit 3-1 (2 of 6)
How much of the bookkeeping is done and/or kept at the business site? Does the owner have an
accountant or bookkeeper that maintains his own bookkeeping system?
Who does the year-end adjusting entries?
Any change in business - recording system or input/register systems, employees, and managers?
Different bookkeeper? Why?
Names of Managers Day in Time in How long with restaurant What location Duties
Who else has managerial control over the employees at the restaurant?
Sales
What types of reports are prepared for the business, and who prepares them? (tip reports; cost
of goods reports, daily sales reports, weekly, monthly, etc.) Explain flow from server to
monthly statements. What type of system is used for server to make order to kitchen?
1. Sales by menu item: What sells the most? Is there a Daily special?
3149-118 3-12
Exhibit 3-1 (3 of 6)
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Exhibit 3-1 (4 of 6)
1. What is the average number of dinners sold on the weekdays and weekends?
2. What is the average cost of a meal?
3. Who determines the price of the meal?
4. How many checks on the average are written per table?
5. Sales by time period: Lunch/ Weekdays? Dinner/Week days? Weekends?
6. What is lowest meal cost per person?
7. What is average cost per person?
8. Seat turnover? Number of seats? Number of tables?
Number of seats at a table?
9. Square footage? Restaurant area? Beverage area?
(Observation of the business should be done before interview or examiner needs to conduct
interview at business location. A tour of the business may eliminate the need to ask some
questions which may be answered during the tour. )
Employees
1. What is the average number of employees on the payroll?
2. How many employees are part-time?
3. What is the employee turnover?
4. Number of shifts?
5. Average number of employees on each shift?
a. Captains b. Waitpersons c. Buspersons d. Other
6. Do employees work the same shift on a regular basis?
7. If not, how are shifts rotated?
8. How are different shifts recorded?
9. What type of hours do the employees work - day, afternoon, evening, etc?
10. How are employees paid - weekly, biweekly, and monthly?
11. Are any individuals working at the restaurant considered independent contractors?
12. How is time kept for the employees - sign-in, time clock?
13. What types of side duties, if any, do the employees have on a daily, weekly, or monthly
basis? How many people are working on an average day, afternoon, or night shifts for the
various areas/positions/shifts of the restaurant? Peak Season - Months?
3149-118 3-14
Exhibit 3-1 (5 of 6)
Tip Income (Note: Questions about tips are necessary in order to tie down cash and
determine the internal controls for all income and cash transactions. You cannot determine
how much cash is deposited daily in the bank until tip cash payments are determined. These
questions are asked as part of an income probe and not as part of an employment tax
examination.)
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Exhibit 3-1 (6 of 6)
19. Do the owners/shareholders and/or family members eat at the restaurant? How are these
meals recorded? Is cost of goods sold reduced?
20. Are written records maintained for complimentary and employee consumed meals and
drinks? How is it booked?
21. Who are the primary suppliers of the business? What do they supply?
22. Turn around time on purchases:
23. How many glasses of wine are served from each bottle?
24. What is the normal mark-up on mixed drinks? Beer? Wine? Wine coolers?
Other Information
(Note: Set aside time after the interview to summarize important points from your interview
notes. Ask the taxpayer review these summaries and make any changes he or she believes are
appropriate. Then, ask the taxpayer to sign or initial the interview summary. This will clarify
any misunderstandings regarding what was said during the interview and, if the case is
transferred, the next examiner will not have to re-interview the taxpayer.)
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CHAPTER 4
Auditing the profit or loss statement may be the quickest and easiest way to
perform an audit of a bar or restaurant. One limitation of this approach may be in
examining the gross receipts of the establishment. Since many bars and
restaurants deal largely in cash, you will need to determine if the internal controls
in place are adequate to ensure that the cash is being deposited into the bank
accounts. Because of this uncertainty, an indirect method in addition to a bank
deposit analysis may be warranted.
Since bars and restaurants engage in a large volume of transactions and many
employees handle cash sales and cash tips, it is imperative that an adequate
income probe be conducted for possible unreported income. The initial interview
will help the examiner determine if the bar or restaurant has adequate internal
controls. The examiner should follow up the interview with tests of those
internal controls to determine if the books and records can be relied upon.
It is important that the procedures outlined in the IRM be followed. The purpose
of the minimum income probe is to help the agent decide whether to limit the
income probe to the minimum steps or to pursue a more in-depth examination of
income. (See IRM 4.10.4.4.)
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f. Reconcile the bank deposits back to the books and tax returns for both
personal and business bank records.
g. Pre-exam analysis – 3 year comparative analysis
h. Comparison of gross sales on the State sales tax returns and the
Federal income tax return.
The internal control system needs to be tested for compliance with the taxpayer’s
(or representative's) description. If you determine that the taxpayer's books are
reliable, the examination of income can include direct testing of the books and
records. Examples of audit procedures using books and records include:
Remember that these are minimum income probes that must be performed. If the
results show the existence of potentially unreported income due to a significant
imbalance in the Cash-T, excess unexplained bank deposits or inadequate internal
controls, then a more in-depth examination of income is warranted. Those
additional probes may include other indirect methods, specific identification
methods, and third party verifications.
Note that the IRM states that “[i]f it is determined that the taxpayer’s books are
not reliable, the examination of income should include indirect analysis.” (IRM
4.10.3.4.6.2.) Thus, when a taxpayer does not keep adequate books and records,
serious consideration should be given to an appropriate in-depth indirect method
in the income probe. In a restaurant many employees are trusted to handle cash.
3149-118 4-2
Proper internal controls are normally not in place, especially when the bar or
restaurant has no point-of-sales system that requires that all transactions be
recorded. Internal controls can also be lacking in a system in which the controls
designed for the point-of-sales system are not implemented such as the recording
of cash tips. This means that all of the cash received from customers is not
accounted for and correct income is not reported. Usually in a bar, one person
(for example, the bartender) may be handling all of the cash transactions including
balancing out the tills each day. This lack of separation of duties essential to a
system of controls necessitates extending the income probe beyond the minimum
required by the IRM. This determination can normally be made after the initial
interview.
If additional income probes are needed, consider the use of a full bank deposit
analysis, the net worth method, a source and application of funds analysis, or the
specific item method. Additional probes usually require the use of third-party
contacts and third-party contact procedures need to be followed. (See IRM
4.10.4.5.3.6.) It is necessary to get complete information about non-taxable
sources of cash, which may explain any understatements. This is especially true
of cash on hand and of cash hoards. (See IRM 4.6.3.8.4.)
Since the bar or restaurant industry is largely a cash-based one, the indirect
methods discussed in this section may only show that an understatement of
income exists. It may be hard or impossible to detect how the understatement was
achieved. For example, the taxpayer may only be reporting income from one cash
register when two are used, etc. The only way to possibly uncover this is to ask a
lot of questions and keep your eyes open during the tour of the business. Another
helpful technique is to visit the operation during its normal business hours and
observe how transactions are handled. Additionally, you may find it useful to
contact state regulatory agencies such as liquor control boards or gambling
operations boards. These state boards routinely send agents to restaurants and
bars to sit in on the business operations unannounced and observe the operations.
They prepare a report of their observations, which may be available to the IRS
examiner.
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The specific items method of establishing income, supplemented by the bank
deposit method, is illustrated in Ketler v. Commissioner, T.C. Memo. 1999-68.
During 1990 and 1991, Warren Ketler operated two sole proprietorships,
including a catering operation doing business as “California Barbecue.” Mr.
Ketler failed to file Federal income tax returns for 1990 and 1991. The Service
determined Mr. Ketler’s unreported income for these years by reference to Forms
1099 provided by payers. Prior to trial, the Service obtained 1990 and 1991 bank
records for all of Mr. Ketler’s accounts and identified various nontaxable transfers
and deductible business expenses. Based on this analysis, the Service asked that
the Tax Court find increased income tax deficiencies. After trial, the Tax Court
found that Mr. Ketler received the income reflected on the Forms 1099. It also
found that the Service had properly performed the bank deposits analysis, and,
therefore, Mr. Ketler was also liable for increased income tax deficiencies.
Indirect Methods
The examiner may need to review the above-referenced IRM sections for the
proper application of these methods. If any of these methods rely on estimates,
they should be corroborated by other methods to establish a stronger position.
When tracing cash through a bank deposit analysis or using the source and
application of funds method, several unique facets of bar and restaurant operations
should be recognized.
· Cash payouts are not deposited, but the money that comes from making the
cash purchases originated from sales. This is cash that would not be
deposited into a bank account.
· Cash payment of employee credit card tips is money that is not deposited.
· Sales tax collected from customers for cash sales is money deposited that is
not a source of income. In many states the sales tax for restaurants and bars
is higher than the sales tax for other retail businesses.
· Cash collected from vending machines is cash that needs to be deposited
which is income.
· Credit card payments from credit card companies for sales will include
deposits of employee tips plus the sales taxes plus the sale. Only the portion
representing the sale is taxable.
· Loans from shareholders are a non-taxable source of cash. Proof of payment
is necessary to establish facts.
3149-118 4-4
· Transfers between bank accounts are non-taxable.
The bank deposit analysis method assumes that the bar or restaurant owner
deposits all income in a bank account. In a cash-intensive business such as a bar
or restaurant, this may not be the case. For that reason, the bank deposits analysis
should generally be supplemented with another indirect method when auditing a
bar or restaurant.
In examining a bar, it is possible that the bar owner may remove cash from his or
her drawer, purchase liquor off the shelf of a store, sell the drinks in his or her
establishment and pocket the profits. In such case, there may be no indication in
the books that anything is wrong as neither the invoice nor the income touches the
books. An indirect method may uncover this.
In analyzing the bank deposits, the Service separated cash, checks, cashier’s
checks and wire transfers. It examined the source of each deposit and separated
items subject to self-employment tax from those not subject to such tax. Further,
to the extent possible, the Service eliminated those items that had been reported
on Ms. Ng’s income tax returns or that came from nontaxable sources (for
example, transfers and refinancing proceeds). The Service also analyzed Ms.
Ng’s cash expenditures. The expenditures that could not be traced to a nontaxable
source or reported income were considered unreported income.
The Court largely agreed with the Service’s determination of unreported income,
but found that Ms. Ng. had only a limited interest in the funds in certain bank
accounts. Accordingly, the Court reduced the amount of unreported income
determined by the Service.
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Net Worth Method
The Court largely agreed with the Service, but found that certain adjustments to
net worth were not proper. Accordingly, the Court reduced the amount of
unreported income determined by the Service.
IRM 4.10.4.6.6.2 states that the percentage markup method is recommended in the
following situations:
1. When inventories are a factor and the taxpayer has nonexistent or inadequate
records
2. Where a taxpayer's cost of goods sold or merchandise purchased is from one
or two sources and these sources can be ascertained with reasonable
certainty and there is a reasonable degree of consistency as to sales prices.
3149-118 4-6
Computations in the Percentage of Markup Method
· The average check per seat can be obtained from the taxpayer during the
initial interview.
The daily sales can be extended to weekly and yearly sales based on the days open
per week and the weeks open per year.
These estimates should take into account the number of vacant seats and people
who walk out before paying their bill. The examiner should also look at the
taxpayer’s advertising account to test the accuracy of reported income. Are
specials advertised? How often? Specials may refer to certain menu items or
discounted prices or both. Are the times during which specials are offered (for
example, happy hour or weekly breakfast hours) reflected in the daily receipts
ledger? During the initial interview ask enough pertinent questions to determine
if these or any other situations should be considered.
As in any income tax examination, the auditing techniques used depend on the
quality and quantity of the taxpayer’s books and records. If the taxpayer is a large
bar that maintains inventory records which detail the daily and/or monthly
purchases and sales of liquor, then the liquor cost percentage can be computed and
applied to total purchases to determine the gross receipts and gross profit of the
taxpayer. If the taxpayer is a small "Mom and Pop" bar that does not maintain
4-7 3149-118
detailed purchase and sale records, it may be difficult and time consuming to
compute its purchases for one day or one month. In this case, it may be preferable
to rely (at least in part) on third party information to verify purchases and compute
the mark-up on cost. The mark-up may then be applied to total purchases of
similar items to approximate the taxpayer’s gross receipts and gross profit.
To compute gross receipts using the liquor cost percentage, the following steps
should be taken:
a. Determine the cost of some of the more popular brands of liquor
b. Determine the sales values of the bottle if all liquor out of these bottles were
sold
c. Divide the sales value into the cost to get the potential pouring cost
Example 1
Computing the liquor cost percentage:
If the taxpayer sold the drinks for $1.10, then the sales value per bottle less
sales tax of $1.97 would be $26.19. (25.60 X $1.10 = $28.16 -$1.97 =
$26.19)
Cost $4.48
--------- -------- = 17.1 %
Sales value $26.19
3149-118 4-8
Gross Receipts (100%) $29,239.77
Less: Purchases (17.1%) ($ 5,000.00)
────────────
Gross Profit (82.9%) $24,239.77
════════════
NOTE: Using the formula discussed above, the computations could be used
to calculate the total sales value of all bottles sold in a week or a month, etc.
Consider a factor for waste and spoilage of about 5% to 8 %. Also, subtract
out the sales tax from the cost.
As with the cost percentage method, the cost and sales value of the various items
needs to be computed. Then, the mark-up on cost can be computed. Mark-up on
cost is the amount of the sales price over the cost of an item.
Example 2
Simplified
Sales Price 10.00
Cost 5.00
Goss Profit 5.00
a. Determine the mark-up of the various alcoholic items the taxpayer sells.
The mark-up should be determined, if possible, in the initial interview. If
the taxpayer does not know the mark-up of the bar items, you must compute
it based on the sales price of drinks and the cost of the drinks.
b. Determine the purchases made by the taxpayer.
You can obtain this information from the invoices provided by the taxpayer,
if available and accurate. If accurate records are not available, you should
request the names of all of the vendors from the taxpayer in the initial
interview. Following third-party contact procedures, send letters to the
vendors requesting all records of purchases made by the taxpayer in the
years under examination or contact other available sources.
c. Apply the mark-up to the purchases of the various types of alcohol.
As in the earlier simplified example:
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Cost x Mark-up = Projected sales price
Mark-up = 200%
Cost = $ 5.00
Sales Price = $10.00
($5.00 X 200% = $10.00 Projected sales price)
The steps discussed above do not take into account amounts for spillage, happy
hour prices, etc. This information must be determined in the initial interview so
that the taxpayer can be allowed these amounts in determining the correct gross
receipts.
1. Alcoholic Drinks
Sales Price per Drink -- Take the average of the more
popular drinks served in the bar as stated by the taxpayer in the initial
interview. It is important to determine in the initial interview the amount of
alcohol in each drink.
The bottle price is an average price of alcohol based on information from your
local liquor dispensary.
2. Draft Beer
Sales price is based on the price of the beer per the taxpayer in the initial
interview. Divide the sales price by the size of the drink to get the sales price
per ounce. It is important to determine the size of beers served, ounces in each
glass, pitcher, etc.
Cost of the beer is an average cost of beer available for sale by the taxpayer,
sold in kegs, divided by the number of ounces in a keg (1,984 ounces). This
gives the cost per ounce.
Cost of the beer is an average cost of beers available for sale by the taxpayer.
Bottles and cans are usually sold by 12-pack or case (24), therefore, divide the
cost by 12 or 24.
3149-118 4-10
4. Wine
Sales price per glass is based on the price per the taxpayer in the initial
interview. Divide the sales price by the size of the glass to get sales price per
ounce. It is important to determine in initial interview the ounces in each
serving.
Cost of the wine is an average cost of wine available for sale by the taxpayer.
Wine can be sold by the bottle, box, or keg, therefore, take the cost of the unit
divided by the number of ounces to get a cost per ounce.
5. Wine Coolers
Sales price by the bottle is based on the price per the taxpayer in the initial
interview. Cost of the bottle is an average cost of wine available for sale by
the taxpayer. Wine coolers are usually sold in case lots of 24. Divide the cost
by 24 to get the cost per the bottle.
The Court largely agreed with the Service, but allowed an adjustment for items
sold at sale prices. Accordingly, the Court reduced the amount of unreported
income determined by the Service.
Employee tip income is income under IRC section 61 and Treas. Reg. section
1.61-2(a)(1) and can be reconstructed using indirect methods. The percentage
markup method is one of the most often used methods to reconstruct unreported
tips, although the cash expenditures method is also used. The McQuatters
formula is also a common method to determine the tips as an hourly amount, a
percentage of gross sales or receipts, or a percentage of the taxpayer's wages.
The McQuatters formula is illustrated in the case from which it gets its name,
McQuatters, et. al. v. Commissioner, T.C. Memo. 1973-240. During 1967 and
1968, Lorna McQuatters was employed as a waitress at the Space Needle
Restaurant. Ms. McQuatters kept no records of her tip income for these years.
Therefore, the Service determined her tip income indirectly by the following
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method: (1) total sales of food and beverages reduced by 10 percent to allow for
low or nontippers and tip-sharing; (2) this amount (that is, sales subject to tips)
was divided by the total number of hours worked by all waitresses during the year
to arrive at sales-per-waitress-per-hour average; (3) this average was multiplied by
the number of hours in each year that Ms. McQuatters worked to determine her
yearly sales; and (4) her yearly sales were multiplied by 12 percent to compute her
yearly tip income.
The Court reduced the tip income percentage from twelve percent to ten percent.
Otherwise, because Ms. McQuatters kept no records of her tip income, the Court
upheld the Service’s determination.
OTHER INCOME
· Lottery tickets
· Gaming pools
· Vending Machines
· Franchise Rebate Income
· Tenant/Fixture Allowance
· Supplier or Advertising Rebates/Incentives/Reimbursement
· Sales of assets
· Cover charges for admissions
3149-118 4-12
· Selling concessions at sporting events/banquets/high schools
· Renting out rooms for weddings and birthdays, etc.
· Catering
· Banquets
· Bartering
· Related party transactions
· Kickback from vendors
· Renting space for signs and video machines
It is common practice in the restaurant industry for suppliers to enter into supplier
arrangements with restaurants. Typically, these arrangements extend beyond the
taxable year. For example, suppose that Supplier A enters into an agreement with
a restaurant chain to supply soft drink concentrate. The contract states that the
supplier will advance $5,000,000 to the restaurant chain immediately and in return
the restaurant agrees to purchase all of its soft drinks from Supplier A for the next
5 years. The Service’s position is that upfront payments received under supplier
agreements are income upon receipt.
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3149-118 4-14
CHAPTER 5
Purchases
IRM 4.10.3.10. Costs of goods sold can be one of the largest expenses on the
return. The examiner should be aware that the purchase figure reported on the
return might be a "plug" figure in order to balance the cost of goods sold
computation. IRM Handbook 7.8.1.1.6.5.1 outlines minimum checks for
purchases:
· Review entries in the general ledger control account. Note and verify entries
which originate from other than usual sources (general ledger) entries, debit
and credit memos, etc.
· Test check the recorded purchases for a representative period with vendor's
invoices and cancelled checks, etc. Be alert to such items as: (a) personal
items (b) capital expenditures (clothing, boats, furniture, etc.).
Inventory
IRM 4.10.3.8.4.3 – prior to Revenue Procedures 2000-22, 2000-20 IRB 1008, and
2001-10, 2001-3 IRB 309, restaurants with inventory were required to use the
accrual method of accounting. For taxable years ending on or after December 17,
2000, restaurants with less than $1,000,000 in average gross receipts that make a
proper election can expense inventory.
· Treatment of coupons
· Gift certificates
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· Charitable contributions of food (be sure the deduction is not being double
deducted once in cost of goods sold and again as a charitable deduction.
· Employee meals
· Personal consumption of food/alcohol by owners
Food companies incur significant costs in developing designs for their products.
The Internal Revenue Service has issued guidance in the form of a coordinated
issue paper and several Revenue Procedures (including Revenue Procedures 97-
37, 1997-2 C.B.455, and 98-39, 1998-1 C.B. 1320) and Revenue Ruling 89-23,
1989-1 C.B. 85, stating that these costs are capital in nature and, depending upon
the election a taxpayer makes, recoverable over a 4 or 5-year period. The issue
was litigated. (RJR Nabisco, Inc., v Commissioner, T.C. Memo. 1998-252). The
taxpayers took the position that package design costs are merely a form of
advertising and currently deductible. The Internal Revenue Service argued that
the costs produces long-term benefits and that these costs are capital in nature and
must be capitalized. The Court ruled in favor of the taxpayer. An Action on
Decision has been issued stating that the Service will not follow this decision and
will continue to litigate this issue. Many taxpayers have filed Form 3115
requesting a change in accounting method from the capitalization of package
design costs to the expense of those costs. The IRS is denying these requests.
1. Taxpayers taking enhanced deductions but not reducing the cost of goods
sold by the basis of the property resulting in a double deduction.
2. Contributions made to an organization that is not a qualifying organization.
3. Determining the fair market value of donated food. What is the FMV of
3-day-old bread? Is it the same value as 1-day-old bread? If the market
value is zero, there is no deduction. This is the area of greatest dispute. ISP
settlement guidelines have been published with respect to this issue.
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Depreciable Life of a Restaurant's Smallwares Asset Account
On January 7, 2002, the Service issued guidance (Rev. Proc. 2002-12) on a safe
harbor method of accounting for the cost of smallwares. Generally, most
smallwares will be deductible. The Revenue Procedure will apply to acquisition
costs of smallwares incurred by taxpayers currently engaged in the trade or
business of operating a bar or restaurant. Acquisition costs of smallwares that are
start-up expenses will still be subject to IRC section 195. The revenue procedure
will apply to bars and restaurants that fall under NAICS code 722. Rather than
capitalizing the cost of smallwares, taxpayers will be allowed to deduct them
under Treas. Reg. section 1.162-3 as non-incidental materials and supplies when
they are received at the restaurant and are available for use.
When a full service restaurant opens a location, they will purchase $50,000 to
$70,000 worth of smallwares (glassware, china, silverware, linen and small
kitchen tools). An issue was identified relating to the recovery period of these
assets and how to treat the replacement costs of these items. Typically, restaurant
equipment costs are recovered over 5 years, but the smallwares used by a
restaurant have different characteristics and turnover rate studies show that
collectively, the initial cost of the smallware asset account is absorbed within 16-
20 months. As of the recent Revenue Procedure most smallwares will be
deductible.
Goodwill is amortized under IRC section 197 over a 15-year period of time.
Restaurant sales agreements often fail to properly allocate goodwill. Goodwill is
often not given a monetary value when a restaurant is sold. Instead, the value may
be given to the other assets with shorter depreciable lives. If the valuation of the
assets appears to be tax motivated, and not based upon the correct value of the
assets in issue, consider a referral to the Engineer Group for assistance to
determine the proper fair market value of the assets sold and/or purchased.
Franchise costs are amortized over 15 years under IRC section 197. Audit issue is
to determine the proper valuation of the franchise costs.
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Depreciation of Restaurant Buildings
The useful life of the bar or restaurant building and any improvements is 39 years.
The examiner should identify separate structural and non-structural improvements
and make certain that these improvements are treated correctly for tax purposes.
Note: The NRA would like to change the useful life of restaurant buildings to 5
years for the original structure and 7 years for improvements based on the
rationale that the average restaurant changes its décor every 6 to 8 years.
Be aware that IRC section 1231 provides that a net gain on the sale of a trade or
business with depreciable assets is capital in nature and a net loss on the sale of
business assets is ordinary in nature. Check for the proper calculation of assets’
cost basis, depreciation taken, and actual sales price. Confirm that inventory was
not included in computing capital gain on the sale of a trade or business as the sale
of inventory is ordinary income.
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Income from Discharge of Indebtedness or IRC section 108 Reductions for
Tax Attributes
Loans between a corporation and shareholders that remain unpaid at the time the
business ceases operations, may result in cancellation of indebtedness income to
the borrower under IRC section 61(a)(12). Other debts to outside creditors that
remain unpaid may represent possible income to the debtor in the form of debt
relief. If the income is not recognized under IRC section 108 due to bankruptcy or
insolvency, tax attributes must be reduced by the amount of the cancelled debt.
Note that if the taxpayer is an S corporation, a discharge of its indebtedness is an
income item that passes through to its shareholders and increases their basis in its
stock. (See Gitlitz v. Commissioner, 531 U.S. 206 (2001).)
Other issues involve the loss of unused carryovers of net operating losses, credits,
and/or recapture issues.
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· There is a 20-year carryforward period of limitation on net operating loss
deductions. Unused net operating loss carryovers for a regular C
corporation are lost in the final year of operation.
· Unused charitable contribution carryovers are not deductible in the final year
of disposition on a corporation.
CREDITS
(Form 8846) also known as FICA Tax Deduction/Credit ─ IRC section 45B ─
This credit is generally equal to the employer's share of Social Security and
Medicare Tax (FICA) paid on tips received by employees on food and beverage
establishments. The credit applies whether food is consumed on or off the
business premises. No credit is given for the tips used to meet the Federal
Minimum Wage Rate under the Fair Labor Standards Act. If the credit is taken,
the employer must reduce the deduction by the credit taken.
(Form 5884) ─ IRC sections 51, 52, and 280C. In 1996 the federal welfare reform
law required states take more people off of welfare and put them into the
workforce. Congress provided the Work Opportunity Tax Credit that gives
employers up to $2,400 tax credit per year against the wages of certain
disadvantaged workers, including former welfare recipients. This credit expired
December 31, 2001. It is expected to be retroactively reinstated. Please check
your local research center. There is a bill before Congress to make this credit
permanent. Per the NRA statistics, one in four restaurants have used the WOTC
to hire disadvantaged individuals. Nearly 75 percent of quick service restaurants
have hired a former welfare recipient.
(Form 8861) ─ Under IRC section 51A, this credit provides businesses with an
incentive to hire long-term family assistance recipients.
(Form 8826) ─ Under IRC section 44, the disabled access credit is a
nonrefundable tax credit for an eligible small business that pays or incurs
expenses to provide access to persons who have disabilities. The expenses must
be incurred to comply with the Americans with Disabilities Act of 1990.
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Empowerment Zone Credit
(Form 8844) ─ Under IRC section 1396, this credit is for employers who have
employees and are engaged in a business in an empowerment zone for which the
credit is available.
Energy Credit
(Form 3468) ─ Under IRC section 48, this credit applies to certain expenses for
solar and geothermal energy property you place in service during the tax year.
Rehabilitation Credit
(Form 3468) ─ Under IRC section 47, this credit applies to expenses the business
incurs to rehabilitate certain buildings.
IRC section 1394. An enterprise zone business may be eligible for interest free
bonds for operating a business in an enterprise zone. Eight criteria must be
satisfied to be an enterprise zone business. These criteria include conducting a
business within the an enterprise community, and having at least 50 percent of the
business gross receipts must be from a business activity within the enterprise zone
community, and having a substantial portion of the business property and
employee services be within the zone. At least 35 percent of the employees must
be residents of the enterprise zone community.
Research Credit
(Form 6765) ─ Under IRC section 41, the research credit is designed to encourage
businesses to increase the amounts they spend on research and experimental
activities. The credit is generally 20 percent of the amount by which research
expenditures exceed the base amount.
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CHAPTER 6
NOTE: Not all balance sheet account analyses are included in this package. This
does not imply that the other accounts are correct or should not be audited.
3. Review the cash disbursements journal for a selected period. Note any
missing check numbers and large or unusual items. Determine the propriety
of these items by comparing with vouchers and other records.
5. Review the cash receipts journal for items identified as ordinary business
sales and be alert for items such as sale of an asset or prepaid income.
6. View entries in the general ledger cash accounts for unusual items that do
not originate from the cash receipts or disbursements journal. These entries
may indicate unauthorized withdrawals or expenditures, sales of capital
assets, or omitted income.
7. Test-check some cash sales with the cash receipts journal to see if cash has
been correctly recorded. Check cash sales made at the beginning and end of
the period to see if year-end sales have properly been recorded.
8. Test-check cash payouts to see if there are unallowable items. Check to see
if sales have been recorded first before cash is paid out.
9. Scrutinize cash overages and shortages, being alert to irregularities that may
have cleared accounts.
10. Run tape totals on guest checks to compare to cash register totals. Review
cumulative register readings. Compare cash register tape totals to daily
operating report.
11. Inspect voided guest checks and see how they have been recorded. Sample.
Stale Checks
Banks are generally not obligated to honor checks that are over 6 months old. If
checks are outstanding for a prolonged period of time, the issue of liability should
be raised. The taxpayer may no longer be liable for outstanding checks. If there is
no expectation that old checks will be cashed and payments made, the amounts of
those checks should be restored to income. Alternatively, the expense associated
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with the outstanding obligations can be reversed and the check should no longer
be carried as an outstanding check on the bank reconciliation. In other words,
debit cash and credit the expense.
Audit Technique for Verifying Cash, Stale Checks, and Unreported Income
In reconciling the cash account, there will be outstanding checks. Determine what
the company policy is for restoring outstanding checks to income. Select all
checks over 6 months old and determine whether those checks should be restored
to income.
· IRC section 61 defines gross income as all income from whatever source
derived.
· IRC section 111 (a) provides that gross income does not include income
attributable to recoveries during the taxable year of any amount deducted in
any prior taxable year to the extent such amount did not reduce income
subject to tax.
During the initial interview, the owner or manager of the bar or restaurant should
be questioned regarding the predominant form of payment used by the customers.
Those who are involved with the day-to-day operations of the business will have a
general idea regarding the breakdown between cash and credit card sales. Then,
based on an analysis of the bar or restaurant's bank records, determine the
percentage of credit card sales to cash sales. Is this a reasonable percentage for
the type of bar or restaurant? Is it consistent with any oral testimony obtained?
For example, one would expect a fast food restaurant chain to have little or no
credit card sales while a full service restaurant and bar would have greater credit
card sales than cash sales. If a restaurant is claiming no cash sales or depositing a
small amount of cash, then it becomes important to tie down the true amount of
cash and credit card sales. It is also possible for a restaurant to not ring up credit
cards sales from a particular credit card company such as Diners, American
Express, or any card company. (Note: Employers must report total charged
receipts showing charged tips on Form 8027.)
1. Reconcile the total credit card sales shown on Form 8027 to the Daily Cash
Reports Year-end Summary. Reconcile this to the year-end summary of
credit card sales from the cash register tapes.
2. Reconcile the credit card bank statements to both Form 8027 and the year-
end book summaries of credit card sales from the cash register tapes.
3. Notice what credit cards the restaurant accepts posted on the outside
windows or near the cash register machines during the tour of the business.
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Specifically ask the restaurant owner and/or manager which credit cards are
accepted from customers during the initial interview. Inspect the actual
bank statements of each of these credit cards to insure that all cards accepted
are being recorded and sample the daily cash register tapes.
4. In reconciling the bank deposits be aware that credit card tips will normally
reduce the cash deposited into the bank account. This is because the servers
will take the credit card tips out of the cash drawer when they balance out at
the end of each day. Ask the owner what records are kept of the cash taken
out of the till by the servers to reimburse for credit card tips. Sample these
records.
Cash Sales
Restaurants are cash intensive businesses that include many small transactions
paid for with cash. As such, determining that all income is reported requires tying
down the cash account. Cash that is deposited daily needs to be reconciled with
the cash register tapes and the deposit slips. Cash sales that are deposited into a
bank account are reduced by cash pay outs and credit card tip reimbursements to
employees. As a minimum income probe, a bank deposit analysis needs to be
done to reconcile the cash received from sales and the cash deposited.
Because each server and bartender has access to the cash received by the business
there is a greater chance of theft of cash by employees than in other businesses. It
is important to determine the internal controls that the owner has to protect against
employee theft and embezzlement. Undeposited cash receipts may indicate that
the owner has not been reporting income, or that employees are taking cash out of
the business. Consider extending the audit to employees who are suspected of
embezzlement or theft, or as a minimum make an audit referral by completing an
information item referral form.
1. Scan the journal entries for reductions to cash that are unusual.
2. Request a copy of any cash flow statements prepared for the business.
3. Perform a bank deposit analysis as a minimum income probe.
4. Sample cash pay out slips
5. Review bank reconciliation
6. Be aware of internal control issues regarding cash sales not rung on
machines that were discovered during the interview.
7. If necessary, interview individual employees. Follow third party contact
requirements before doing so.
Inventories can be a large and material income producing item in the bar and
restaurant area. A comment must be made in your work papers about its stated
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value on the tax return. Inventories on a bar and restaurant return would largely
consist of food and alcohol items sold in the establishment. Since food items are
perishable goods, be aware that food items are subject to waste and spoilage and
most items have a rapid turnover rate. Poor controls and safeguards of inventory
items may result in employee theft. If significant and identified, income from
employee theft should be included as income on the employee's return.
Find out if the bar or restaurant has a system of reducing inventory at the point of
sales. Find out if a meal pricing system is used. Both of these measures result in
fewer write-offs of waste and spoilage. Determine if the bar or restaurant has
adequate pricing systems in place to determine gross receipts based on purchases
and cost of goods sold. For example, if a meal pricing system shows that 1/4lb of
hamburger goes into every hamburger sandwich sold, and 200 lbs. of hamburger
is sold, then this would indicate 1,000 sales of hamburger sandwiches.
2. Compare inventory balances in the return with those for the prior and
subsequent years and with taxpayer's records. This could result in
understatement or overstatement of cost of goods sold.
4. Check for gross profit percentage variations. This could indicate withdrawal
of inventory for personal use, which is an understatement of net income.
Personal use of inventory is a constructive dividend to the shareholder.
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6. Determine that all direct and indirect overhead and burden expenses are in
the overhead pool that is used in the computation of overhead rates where
applicable.
7. Analyze unusual entries to cost of sales account for labor, material, and
burden charges not related to sales.
9. Check to see if contributions of food are being double deducted, once in cost
of goods sold and again as a charitable contribution.
10. Determine if there have been write-downs for "excess" inventory to below
cost. Verify that the method of inventory valuation for "excess" inventory is
in accordance with Revenue Ruling 80-60, 1980-1 C.B. 97.
11. Determine the amount of food and alcohol consumed by employees and/or
owners. Determine the amount of spoilage and waste. Determine amount of
employee theft of food and alcohol.
Many bar and restaurant corporate returns will be closely held corporations.
Many of these will have loans to the shareholders. The following information will
provide the general audit techniques to use when addressing this issue.
Obtain copies of any notes or evidence of indebtedness. Test them to see if the
terms of the note are being followed. For example, is interest (if any) being
accrued as income. Does the loan call for monthly payments or is it payable on
demand? Does the note have a fixed maturity date? Does it have an interest rate?
Is the interest rate near market? The absence of one or all of the above may
indicate the loan was made at less than an arm's length transaction, and may be
construed to be a constructive dividend (or, alternatively, interest income).
3149-118 6-6
5. Interest charged and paid.
6. Shareholder has available funds to repay outstanding balance.
The initial investment to start a bar and/or restaurant is quite high. Capital is
required to purchase property, make leasehold improvements, buy equipment and
furnishings, pay possible franchise fees, and purchase licenses, permits, taxes,
liquor licenses, utilities, insurance, food inventory, advertising and payroll.
Be aware that the taxpayer may choose to reduce the capital requirement and lease
the property for the establishment. Make sure during the examination that the
lease is an arm's length transaction and that leasehold improvements are being
correctly treated.
Of the capital items discussed above, fixed assets will make up a large percentage
of the investment. The basic fixed assets that will be found in any bar and/or
restaurant are as follows:
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Dining Room Tables, chairs, music (stereo/speakers),
jukebox, cash register, floor coverings, salad
bar, coffee makers, soda fountains,
silverware, glassware and dishes.
These fixed assets vary in cost and you may want to do some research to
determine if the assets are being carried at a reasonable cost.
1. Review the acquisitions to determine that basis has been properly recorded.
2. Where the acquisition consideration is other than cash, fully review the
manner at arriving at basis.
3. Does the basis include all expenditures required to place the asset in
readiness for operating use?
4. Allocations should be reviewed where a lump sum purchase price is
involved.
5. If there is an allocation in the contract between buyer and seller, verify that
the allocation is consistent with the agreement. Also verify that the
allocation reflects economic reality.
6. If there was an acquisition of assets constituting a trade or business, IRC
section 1060 may apply.
7. Consider the advisability of requesting Engineering assistance.
8. Review retirement policy and determine that receipts from dispositions are
properly accounted for.
9. Determine company policy with respect to capitalization of minor items and
record the information for future references in the Historical File.
3149-118 6-8
those costs have been incurred for expansion of an existing business and didn't
create a new or distinct capital asset. However, when a new subsidiary
corporation was formed to comply with liquor license requirements of local
ownership, pre-opening expenses could not be deducted and are treated as a
capital asset and amortized.
Valuation of assets, licenses, and goodwill amortized over 15 years. See IRC
section 197.
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3149-118 6-10
CHAPTER 7
EMPLOYMENT TAX ISSUES
Required Forms:
4. Forms W-2 Scrutinize all Forms W-2 for any withholding which
appears to be small in relationship to the wages and
request the employees Forms W-4. In the event an
employment tax examination is warranted, the
information needed is whether the FUTA and FICA
limitations have been met.
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Determine if there are any "off-the-books"
employees being paid in cash and not being issued
Forms W-2.
10. Forms 5500 & 5500C Review pension expenses and distributions.
The restaurant and bar business is largely a cash business. As a result, many
owners pay people for services rendered in cash. Two areas to consider when
auditing these entities are cash paid to employees and cash paid to bands and/or
other entertainers. The cash paid to the employees generally will not have
employment taxes paid on it. The cash paid to the bands and/or other entertainers
generally will not have a Form 1099 filed for it. Be sure that these areas are
addressed in every examination of restaurants and bars. See Exhibit 7-1 for list of
questions to ask at the interviews.
Another area involves the requirement that the tipped employees in the
establishment report their tips received to the employer at least monthly. The
Omnibus Budget Reconciliation Act of 1987 revised IRC section 3121(q) to
require the Employer to match the FICA Taxes of the employee for tips reported.
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Tip Income ─ Form 8027
Form 8027 is the Employer’s Annual Information Return of Tip Income and
Allocated Tips. See IRC section 6053 (c). To increase tip income reporting
compliance, the Tax Equity and Fiscal Responsibility Act of 1982 (“TEFRA”)
enacted substantial changes to requirements for reporting tip income earned by
employees at large food and beverage establishments. For calendar year 1983 and
later, employers at large food and beverage establishments are required to file
Form 8027, Employer’s Annual Information Return of Tip Income and Allocated
Tips, indicating the amount of gross receipts from food and beverage operations,
total charge tips, total credit card receipts, and total credit card tips. See Exhibit
7-2 for a list of Internal Revenue Service (IRC) sections that apply to tip income.
Form 8027 is an important tool used to measure the compliance level of large
food and beverage establishments. Therefore, it is critical that IRS examiners
identify taxpayers that have not filed Forms 8027 but are required to do so. Also,
a significant amount of allocated tips reported on Form 8027 might be an
indicator of employees’ underreporting their tip income. Refer to the tip training
guide mentioned at the end of this discussion for more information for reviewing
Forms 8027. See Exhibit 7-3 for an audit program for tip income.
In the past, the IRS performed examinations on the returns of tipped employees
and determined that a large number of these employees were not properly
reporting their tips. Significant tax deficiencies often result from these
examinations. These examinations created significant burdens not just for the
employees and the employer, but also for the IRS. The IRS began to explore new
methods to achieve voluntary compliance and at the same time reduce the burden
for all parties concerned. These efforts resulted in the IRS tip compliance
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program, The Tip Rate Determination and Education Program (“TRD/EP”) was
introduced in October 1993.
The IRS identifies restaurants that may have unreported tips by analyzing the
annual Form 8027 required of each establishment meeting the filing requirements.
The analysis identifies discrepancies between the charged tip rate and the reported
tip rate. This information is then used to prioritize the establishments by greatest
discrepancy. Determining the correct amount of tip income earned by tipped
employees is difficult. In the absence of accurate records, an indirect method for
determining the correct tip income, referred to as the McQuatter’s Formula, has
often been applied for these situations, as discussed later.
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Notice 2001-2, 2001-2 I.R.B. 261, discusses the Employer Tip Reporting
Alternative Commitment program (“EmTRAC”). This program allows for food
and beverage employers to prepare their own tip reporting program and receive
IRS approval as long as they agree to:
1. Comply with the requirements for filing all required federal tax returns and
paying and depositing all federal taxes
2. Maintain the following records for at least 4 years after the April 15
following the calendar year to which the records relate:
3. Upon the taxpayer's request, make the following quarterly totals available,
by establishment, for statistical samplings:
5. Comply with the terms of the IRS approval described in Notice 2001-2.
IRS approval includes the following commitments on the part of the IRS:
· The Service agrees not to initiate any new tip examinations of the taxpayer
for any of the establishments included in the taxpayer's letter for any period
during which the taxpayer's EmTRAC program is in effect.
· Any IRC section 3121(q) notice and demand relating to any period during
which the EmTRAC program is in effect will be based solely on amounts
reflected on Form 4137, Social Security and Medicare Tax on Unreported
Tip Income, filed by an employee with his or her Form 1040, or Form 885-
T, Adjustment of Social Security Tax on Tip Income Not Reported to
Employer, prepared at the conclusion of an employee tip examination.
· The Service will not evaluate the EmTRAC program until the second quarter
following the date of the letter. The Service can review the progress in
implementing the EmTRAC program before then.
· The EmTRAC program will remain in effect until the taxpayer or the IRS
terminates it. The Service can terminate the program only:
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1. If the taxpayer fails to comply with the agreement described in the
letter
· Any termination will be effective the first day of the first calendar quarter
after the terminating party notifies the other party in writing, unless the
taxpayer fails to comply with the agreement. In that case, the Service may
terminate the EmTRAC program effective as of the first day of the quarter in
which the taxpayer ceased to comply.
Since tips are often paid in cash, there may no record of them. Therefore is may
be difficult to determine the correct amount of tip income earned by bar or
restaurant. If the tipped employees fail to maintain accurate records of their tip
income, the IRS must rely on an indirect method of determining that income.
However, indirect methods are time consuming and may yield inconsistent results.
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If properly applied, the McQuatters Formula yields a defensible estimate of tip
income. Courts have consistently upheld the IRS in cases where a valid statistical
sample was used to determine tip income.
The IRS announced in October of 1999, that beginning October of 2000, the IRS
would conduct employer-only FICA Tax assessments on employers for the
employer's share of unreported tip income. This policy change came about as a
result several court cases that allowed the IRS to conduct employer-only FICA
assessments.
The U.S. Supreme Court June 17, 2002, held 6-3 that the tax law authorizes IRS’s
use of the aggregate estimation method to calculate a restaurant’s employment tax
liability for unreported tip income. United States v. Fior D'Italia, Inc., U.S., No.
01-463, Jun. 17, 2002. The issue was whether the IRS could make employer-only
assessments of FICA tax on unreported tips on an aggregate basis under IRC
section 3121(q). If you are conducting an employer-only FICA Tax assessment
examination, please coordinate with your local area employment tax group and the
National Office.
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3149-118 7-8
EXHIBIT 7-1 (1 of 3)
Interview Questions
MANAGEMENT INTERVIEW:
1. Days open?
2. Hours open?
3. Number of shifts?
4. Average number of employees on each shift?
5. Did employees work the same shift on a regular basis?
6. If not, how were shifts rotated? How were different shifts recorded?
7. Who set up the room?
8. What was the average set-up time?
9. How was set-up rotated?
10. If stations were not rotated, how were they assigned?
11. What was the seating capacity of the restaurant?
12. Were tips pooled and split among waitpersons?
13. How were tips split?
14. If tips were not split, was there a practice of tipping out? To whom and at what rate?
15. How did customers pay for their meals? (That is, did they pay the waitperson or pay on the
way out?)
16. How did the employees receive their charged tips?
17. Did you have the following types of sales?
18. If you had the types of sales listed above, how did the employees receive any non-cash tips?
19. Were waitpersons required to pay for customers who left without paying?
20. Did the average cash customer tip better or worse than the average charge customer?
21. Did customers tip differently depending upon the time of day?
22. Were there any unusual factors that affected tipping in your establishment?
23. Other Comments:
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Exhibit 7-1 (2 of 3)
EMPLOYEE INTERVIEW
3149-118 7-10
Exhibit 7-1 (3 of 3)
23. On an average night, average week, or average month, how often would you get stiffed?
24. If a slow night occurred, was anyone sent home and how was that decided?
25. If sent home, did you get paid for the hours worked or for a full shift?
26. Did you have to pay for walkouts?
27. If yes, how often did this happen?
28. What is your position?
29. What are your duties?
30. How long have you worked at this establishment?
31. Have you worked in any other position at this establishment? If so, what were your duties?
32. Did you maintain records of tips you received?
33. If yes, what kind of records?
34. Was there a guaranteed tip rate at any time?
35. Did anyone work all large parties?
36. If yes, how was this determined?
37. Are customers who receive complementary food or beverages better or worse tippers than
the average customer?
38. Were checks written up so that you could be identified?
39. If so, how was this done?
40. Is there a reason why application of average sales and tips would be unfair to you?
41. Other Comments:
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3149-118 7-12
Exhibit 7-2
45B Allows an income tax credit to food and beverage employers for part of the
employer FICA taxes paid on tips.
61(a) Provides that tips are compensation for services.
446(b) Gives IRS the authority to compute income by a method that, in its opinion, clearly
reflects income.
3102(c)(1) Provides that the employer is to withhold FICA taxes only on tip income reported to
the employer by the employee in a written statement.
3121(q) Provides that, effective January 1, 1988, all tips are FICA wages, and the employer
is responsible for the employer share of FICA on tips earned, whether or not
reported by the employee.
3306(s) Imposes FUTA tax on tip income reported to the employer by the employee.
7-13 3149-118
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3149-118 7-14
Exhibit 7-3
4. Determine Charge Tip Rate Use the Form 8027 if establishment filed an
accurate return. Use a 28-day sample if
establishment does not have adequately
organized records.
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3149-118 7-16
APPENDICES
Appendix 1
Allocated Tips ─ Tips that the employer assigns to the employee in addition to the tips reported
by the employee to the employer when tips reported are less than 8 percent of food
and drink sales. The employer reports the allocated tips to the IRS on the Form W-2.
The employee completes Form 4137 which is attached the employee's tax return.
Employer does not pay FICA tax on allocated tips.
Automated Bar Control Systems ─ Computer based systems to control the bar and alcohol
operations. This includes a metered system and a keg beer control system. These
systems record the number of drinks, portion sizes, drink pricing, and collect other
data on sales such as brand, serving station, hour, and drink type.
Basic Cash Register Machine ─ Has a paper tape of all recorded transactions, an internal meter
that records cumulative data totals, and a cash drawer that secures cash receipts.
Allows for recording of various food and beverage items, has a sales tax key, and
change due. Tips are not recorded.
Cashier Banking ─ Server takes order from the customer, and the cashier rings up the sale, the
server takes payment from the customer and gives to the cashier who rings up the
payment and makes change and gives the information back to the server to give to the
customer. At the end of the shift, the cashier balances out the till and gives the server
a copy of the server's sales and tip report.
Charged Tip ─ Charged tips are tips added to a credit card slip or a room charge slip. Charge
tips are credited to the check employee.
Check employee ─ Employee who deals directly with the customers such as the waiter or server
to takes the order and brings the food to the customer. The same employee also gives
the customer the check or sales slip, and receives payment from the customer.
Check digit verification ─ validates the accuracy of credit card account numbers that are entered
during transaction processing.
A-2-1 3149-118
Complementary (Comp) Sales ─ This is when a meal or drink is served, but the customer is not
required to pay, for example, management courtesy meals. Generally, a tip is left as
in the case of a regular paying customer.
Cover Charge ─ Charge for admission into restaurant and bar, usually because of live
entertainment.
Diner Discount Funding Programs (DDF) ─ A funding source provides the restaurant with a
cash advance that can be used however the owner chooses. In exchange, the funding
source receives food and beverage credits generally equal to twice the cash advance
amount. The funding source then provides credits to members who redeem them by
signing special credit card receipts for their bills at full price. The restaurant receives
a check from the funding source for the tax and tip amounts. The remainder of the bill
is applied to the restaurant's advance balance. Revenues are deferred and may not be
ever recorded as current income.
Directly Tipped Employee ─ This is an employee who receive tips from the customer directly.
Employee Banking ─ The employee carries a purse or pouch, takes orders from customers, takes
payment from customer, makes change for customer from "bank," and keeps record of
the sale which is balanced out against the cash register at the end of the shift.
Employee Tip Report ─ In a point-of-sales system, employee tip reports are printed out at the
end of each day. This same report can be cumulated and printed out for each payroll,
quarter, or annually in a point-of-sales system. The following totals are included in
each report:
1. Gross Receipts (total sales credited under the employee's name
2. Credit Card Sales (total charged sales)
3. Credit Card Tips (total tips received from credit card sales by employee)
4. Cash Sales (total cash sales under each employee's name)
5. Service Charge receipts (total service charges payable to the employee)
6. Cash Tips Reported (total cash tips reported by employee)
Employee meal ─ meal eaten on the premises by the employee. Usually considered a nontaxable
fringe benefit as a meal provided for the convenience of the employer. Most point-of-
sale systems have a separate key for recording employee meals.
Employer FICA Tax Credit ─ Credit against income tax for amount of employer FICA tax paid
on employees tips.
Employment Tax Audit ─ Audit of the Forms 941 and 940 for both the employer's share of
FICA and the employee's share of FICA and withholding tax.
Expanded Cash Register Machines ─ Records sales, server information, guest check
information, discounted meals, promotional or complementary meals, employee
meals, and identifiable menu items.
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Fast Food Restaurant ─ Does not employ servers who take orders. Customers will place and
pick up their own orders and often bus their own tables.
Food Cost ─ The cost of all food items purchased for resale; does not include the cost of supplies
Food Cost Percentage ─ The portion of cost divided by the menu price.
Franchise Fee ─ Cost paid to franchise owner for operating a franchise. Other franchise costs
include royalties, advertising, rent, etc.
Full Service Restaurant ─ Servers are employed to take orders and may include alcohol
services.
Guest Check Information System ─ Produced by the integrated point of sale system, a guest
check is created showing the written description of the order, server's name, number
of customers, table number, and how paid, and tip.
Guest Seat ─ Usually each chair in the restaurant is kept track in a point of sales system. Also,
each server is assigned a chair or seat. The information used can show how many
sales are recorded by each chair or seat.
Indirectly Tipped Employee ─ An employee who receives tips from directly tipped employees
through either tip pooling or tip splitting. In a point-of-sales system, employees
record their cash tips in the system using an indirect tips or direct tips key.
Integrated Point of Sales Systems ─ Cashiering functions of the expanded cash register
machines plus order entry or automation of the ordering process. It captures the order
from the time that it is taken, to transmission to the kitchen area, to the time of
payment. Time recording is also possible with a link to an actual time clock. Can be
linked to a back office computer to convert data into a management analysis system of
the data collected.
Keg Beer Control System ─ A push button panel that dispenses the exact portion of beer
replaces the conventional beer tap.
License Fee ─ Cost of maintaining right to serve alcohol, usually to a government agency. After
RRA '93, this intangible asset can be amortized over 15 years for licenses acquired
after August 10, 1993. Per GAAP, APB Opinion No. 17 requires disclosure of write-
off and use of straight-line method.
Liquor Cost ─ The amount paid for liquor after discounts; does not include bar supplies, mixers,
etc.
Liquor Cost Percent ─ The portion cost divided by the selling price.
Menu Price ─ The amount that will be charged to a customer for the item.
A-2-3 3149-118
Menu Pricing ─ A technique of calculating the actual cost of goods sold by cost to purchase
each ingredient within each item of the menu. For example, determining the cost of a
hamburger bun, slice of cheese, and meat. Based on the cost, a profitable selling price
for each menu item can be determined.
Metered Systems ─ A system using a metering device to record each drink served. They attempt
to hold the bartender accountable for every drink poured. Some systems use a "gun"
dispenser that travels through a system of hoses from the storeroom where the liquor
is kept to the gun. Other systems use a spout attached to each bottle that dispenses a
predetermined portion. The bartender must attach a collar around the spout to
activate. The collar records the drink and releases the alcohol.
Net Purchase Price ─ The price paid by the restaurant for one unit (that is, pound, package,
container, etc.)
Point of Sales System ─ Records the sale at the time the sale occurs. This can include basis cash
registers, expanded cash registers, and integrated point of sales systems.
Restaurant capacity ─ The amount of customers that can be served if all of the tables and chairs
available for use, are used.
Service Charge ─ A service charge is any gratuity posted to a check, such as a room service or
delivery charge. Direct and indirect tips are not service charges. A point-of-sales
system will record a service charge.
Spillage ─ The amount of alcohol lost during the drink making process.
Targeted Jobs Credit ─ Credit against tax for employing targeted groups.
Tip Audit ─ Audit of the employer's share of FICA tax on all the tip income of the employees
and not just the tips reported to the employer. Special procedures require
involvement with the Tip Coordinator for assessment.
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Tips Paid ─ Tips paid out by the restaurant to the server for the credit card tips at the end of the
shift when the server cashes out. These tips reduce the cash in the drawer from cash
sales and reduce amount deposited to the bank in cash. These tips are recovered when
the restaurant receives payment from the credit card companies.
Tips Declared ─ Amount of cash tips reported by the employee to the employer. This is not
necessarily the amount of cash tips received.
Trade-out ─ Trade-out arrangements are barter activities where the restaurant agrees to provide
meals in exchange for some activity.
TRDA Agreements ─ The Service will work with the employer to arrive at a tip rate for the
various occupations in the restaurant using the McQuartter's Formula. At least 75
percent of tipped employees must sign a participating agreement. Participating
employees report tips at or above the rate determined in the agreement.
Tip-outs ─ These are tips shared from directly tipped employees to other directly and indirectly
tipped employees, such as buspersons and cooks.
Tip Pool ─ In some instances the employees will put all of their tips together and then divide
them equally or on a percentage basis. Sometimes they are divided based on hours
worked.
Tipshare ─ This is when a directly tipped employee shares his/her tips with an indirectly tipped
employee.
TRAC Agreement ─ The employer and the Internal Revenue Service agree to institute and
maintain a quarterly educational program that trains newly hired employees and
periodically updates existing employees as to their reporting obligations with respect
to tips. The employer also agrees to establish a procedure to monitor the employees,
the accurate reporting of all tips, and comply with all federal tax requirements
regarding the filing of returns, paying and depositing taxes, and maintaining records.
Walk-out ─ This is when a customer leaves the premises without paying the bill.
Weekly Profit and Loss Reports ─ Internal reports reconciling cash register tapes, deposits,
purchases, and cash payouts. Reports provide detailed analysis of sales and costs.
Well Drink ─ A drink made with the less expensive non-name brand liquors.
Work Opportunity Tax Credit ─ Credit employers can receive for hiring people off of welfare.
A-2-5 3149-118
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3149-118 A-2-6
Appendix 3
(Source: Ed Hynes and Walt Matysik, Restaurant Accounting Controls 2000 (Edmonds, Wa: Restaurant
Seminar Institute, Inc., 2000), pgs. 109 to 113. )
1. Record a smaller sales amount on the daily operating report than is shown on the cash
register tape. This reduces the amount of cash that must be deposited for the day.
2. Regular cash overages. This is an indication that sales are not being recorded, and a
breakdown in controls.
3. Collect the side income (for example, vending machine proceeds, tee shirt revenue,
gambling fees, and admission charges) and do not include the income on the daily operating
report.
4. Collect directly from special customers, parties, and banquets and do not report the income
on the daily operating reports
5. Purchase food and supplies for personal consumption without reimbursing the restaurant.
6. Deposit supplier rebates into the owner's person account without recording the payments in
the books and records.
7. Purchase food for friends, charge them, and do not record any amounts collected and
pocket the funds.
8. Turn off the register or leave the cash drawer open for periods of time (for example, during
the lunch rush).
9. Turning off the register hours ahead of the close of the restaurant.
10. Refusing to purchase a register which records time of sales, and when machine is balanced
out. Refusing to purchase a point-of-sales system claiming the cost is too high.
11. Balancing out the till days or weeks after the end of the shift.
12. Depositing cash from sales days or weeks after the end of the shift.
13. Never depositing any coins collected from daily sales.
14. Use two registers to record sales, and only report sales from one.
15. Creates a second set of records of sales on same machine at the end of every day with lesser
totals than originally recorded. This is done on older models of cash register machines.
16. Key in a smaller amount on the cash register than is collected and pocket the difference.
17. Have a vending machine with no record of income received from vendor, usually in cash.
18. Kickbacks from suppliers.
19. Specific credit cards not rung as a payment, for example Diner's Club may never be rung up
as a sale.
20. Reimbursement from employees for uniforms.
21. Omission of side income such as tee shirt sales or pool table fees.
22. Sales from certain tables or chairs are not recorded or even assigned to a server on the
machines.
23. Higher than expected food and liquor costs but company still operates at a loss in excess of
3 years.
24. One person prepares all the records and there is no separation of duties.
25. Falsifying records or invoices.
26. Destroying books and records especially after contacted for examination.
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27. The cash register machine is changed frequently or is lost but is not a computerized system.
28. Duplicate guest checks are not kept.
29. Owner has high lifestyle or is acquiring assets with no apparent source of income.
30. Owner conceals assets.
31. Making false statements to IRS agents regarding income.
32. Attempts to hinder the examination. For example, failure to answer pertinent questions,
repeated cancellations of appointments, or refusal to provide records.
33. Testimony of employees concerning irregular business practices.
34. Transfer of assets for purposes of concealment, or diversion of funds to key officers or
trustees.
35. Backdating of documents.
36. Attempts to bribe the examiner.
37. Using false Social Security Numbers.
38. Assets located under other names.
39. Transactions surrounded by secrecy.
40. Use of secret bank accounts.
41. Claiming fictitious deductions.
42. Intentional under or over footing of columns in journal or ledger.
43. Unable to locate cash registers tapes.
44. Unable to locate cash registers machines.
45. Depositing income in other family name bank accounts.
46. High employee theft and possible embezzlement.
47. No employees report any tips, and none are reported to the IRS by the employer.
48. Report of cash robbery with police department for cash located in the home.
49. Payment of most business expenses with cash or personal expenses with cash that has never
been recorded as income.
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Appendix 4
A-4-1 3149-118
34. Collects directly from the customer without a guest check.
35. Incorrect "Over rings."
36. Incorrect "Voids."
37. Making sales during ribbon or tape changes, or during shift changes.
38. Running a credit card through twice, or increasing the tip amount on a credit card.
39. Changing guest check after the customer leaves.
40. Employees under-charging a customer for drinks or food with the anticipation of a larger
tip.
41. Short changing customers.
42. Employees’ sign-in early and check-out late, or other employees sign them in and out, and
they don't work at all.
43. Complimentary cocktail or wine coupons from hotel room sold by maids to bar personnel,
which they can place in register for cash.
44. Adding two different customers' drink charges together and charging both, claiming
misunderstanding in who purchased the round.
45. Stealing change the customer left on the bar. Employees sometimes wet the bottom of their
tray and set it on the customers change, so that the cash sticks to the bottom of the tray.
46. Collusion between bartender and cocktail server, where the server does not enter drinks into
the system but the bartender makes and releases them.
47. Bartender totals out the register early. Then starts a new tape, totals it before he leaves and
takes the tapes and cash with him.
48. Phantom Bottle: Bartender brings his own bottle or liquor onto shift and pockets cash from
the sale.
49. Short Pour: Pouring less than shot to cover "give-away" liquor costs.
50. Duplicate pour on computerized dispense system. Dispensing and registering one shot,
while short-shotting the liquor into two glasses.
51. Claiming a returned drink when the drink was actually sold.
52. Giving away free drinks: If no point-of-sale control exists and drinks are given to friends
or in anticipation of larger tips.
53. Free drinks with cash on the bar: Customer places money on the bar, he is served without
money being collected, customer leaves thinking he has paid for his drinks and left tip, but
the bartender pockets the money without ringing up.
54. Confusing manager regarding the number of draft beers that are poured from a keg, but not
ringing up draft drinks and keeping the cash.
55. Re-using old register drink receipts.
56. Cocktail servers understating sales when pre-check system is absent.
57. Bartender exchanges drinks with the cook for dinners.
58. Adding water to a liquor bottle to cover cost discrepancies. This covers not ringing up
drinks.
59. Using lower priced liquor while charging for call brands.
60. When one person is in charge of liquor pick-up, check-in, and stocking, it is easy for them
to take liquor home.
61. Charging regular bar prices, but ringing sale up as happy hour prices.
62. Bartender claiming new register or control is too confusing or time consuming and slows
everyone down so they don't use it.
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63. Ringing cash sales on service or dining room key.
64. Ringing food items on liquor key in order to cover high liquor cost percent.
65. Free drinks to all visiting bartenders "courtesy."
66. Not pouring liquor into blended fruit drinks to cover PC.
67. Bartender redlining service orderings without ringing, then ringing later for a lesser cash
sale amount.
68. Tip jars next to cash register make it easy to place cash in tip jar and ring "no-sale" for
register activity.
69. Falsifying cumulative register readings and "losing" tape.
70. Improperly using the training key (by ringing up orders on the training key).
71. Keeping free samples from venders.
72. Bartender handwriting bar tabs and ringing in lesser amounts into receipts.
73. Draft beer delivery person picks up one full keg as well as empties when leaving. This full
keg is sold to another restaurant.
74. Draft beer system not secured at closing, available to janitor after hours.
75. Chefs demanding gifts of a personal nature in exchange for business from a purveyor.
76. Equipment supply companies sell unnecessary equipment or glasses that break and have to
be replaced frequently.
77. Customers send bill for laundry due to alleged food spilled on them by server.
78. Individuals posing as representatives from credit card companies sell unnecessary supplied
to unaware employees.
79. Kickbacks from food venders to employees (generally the chef or person doing the buying
takes a commission and pays more for the merchandise).
80. Vendors deliver merchandise weighing less than the amount stipulated on the invoice
(sometimes a collusion between the person receiving the merchandise and the delivery
driver).
81. Linen service overcharge (taking wrong inventory and charging for invalid damaged
merchandise).
82. People posing as representative of local newspaper selling phony advertising at lower rates.
83. Telephone company offers lower cheap long distance rate but never really changes the rate.
84. Restaurant is mailed phony bills from yellow pages or agencies selling phony labor law
bulletins.
85. Bookkeeper entering and printing check in QuickBooks for personal expenses, then going
back into QuickBooks and changing vendor name to non-descript title and splitting the
expense so that no amount seems out of line.
86. Manager buying software from a foreign country that enables him to reprint reports from
open architectural system indicating lessor sales, and then pocketing the money.
87. Making phony daily reports.
88. The bookkeeper is not making deposits by reporting cash short.
89. Bookkeeper adds a "less cash" line to the deposit slip and receives cash back from the bank.
A-4-3 3149-118
90. Bookkeeper claiming improperly written check, NSF check, or incorrect credit card
transaction.
91. Bookkeeper writing a check to the bank for FICA and getting cash instead.
92. The bookkeeper is paying a fictitious bill to themselves.
93. Fictitious pay-outs added by bookkeeper. Sometimes employees do the same.
94. The manager adding hours to an employee's check and splitting the difference.
95. Over charging banquet sales, or not recording banquet sales at all.
96. Employee hold back deposits and investing or borrowing money. (Sometimes money is
invested in drugs).
97. Manager sets up a phone employee on payroll and deposits checks into their account.
98. Chef purchasing specific items not on inventory for employee consumption.
99. Cashier accumulating guest checks to ring up after customer leaves. This enables cashier to
change amount or leave out items.
100. Chefs asking purveyors to falsify invoices - transferring food purchases to supplies.
101. When manager is balancing cash from a computerized Point-of-Sale system, they change
some cash sales to promotional meals and keep cash. They do this and other methods when
cashing out employees.
3149-118 A-4-4
Appendix 5
OPERATING RATIOS
1. Comparative Analysis: Compare current year income statement and balance sheet to
previous or subsequent years. Preferably a 3-year spread.
2. Calculation of Percentages: First calculate the percent and then compare to industry
average. The National Restaurant Association prints various statistics on their web site
www.restaurant.org or www.nrs.com. Also check Nation's Restaurant News at
www.nrn.com or Publicly traded restaurants at www.wsrn.com. Statistics of industry can
also be obtained from National Restaurant Association Deloitte & Touche: Restaurant
Industry Operations Report for 2000, which can be purchased from the NRA. Also, contact
IRS Examination Specialist or ISP for Food and/or Restaurants for current statistics.
a. Prime Cost % = Prime Cost (cost of food and beverage sold plus Labor cost)/Total
Sales
b. Food Cost % = Food Cost /Food Sales *
c. Labor Cost % = Total Labor Cost/Total Sales
d. Labor Cost % = Liquor Cost/Liquor Sales
e. Wine Cost % = Wine Cost/Wine Sales
f. Beer Cost % = Beer Cost/Beer Sales
g. General and Administrative % = General Administrative Cost/Total Sales
h. Sales per Seat = Total Sales/Number of Restaurant Seats
i. Sales per Square Foot = Total Sales/Restaurant Square Footage
j. Sales per Labor Hour = Sales/Full Time Employees
k. Inventory Turnover = Cost of Goods Sold/Average Inventory
*Food cost include coffee, tea, and juices sold with the meal. If no alcohol is sold, food
costs include soft drinks.
A-6-1 3149-118
· Median total sales per square foot are $232.
· Median income before income taxes is 5.4 percent of total sales.
· Median total cost of sales is 31.6 percent of total sales.
· When 53 percent have sales volume of over $1,000,000
c. Full Service Restaurants (average check per person $25 and over).
· Median average check is $33.
· Profitable restaurants report median total sales of $11,115 ($7,129 to $16,302)
per seat while unprofitable restaurants report median total sales of $6,526
($5,175 to $8,490) per seat. Average net profit for a profitable restaurant is
$696 ($306 to $1,253) per seat. Average net loss per seat for an unprofitable
restaurant is ($227) (($650) to ($77)).
· Median total sales per full-time equivalent employee are $49,681 and average
payroll is $16,159.
· Median food sales are $7,160 ($4,836 to $10,917) per seat and median beverage
sales are $2,289 ($1,403 to $4,248) per seat.
· Median total sales per square foot are $332 ($209.61 to $464.50).
· Median income before income taxes is 3.9 percent of total sales.
· Median total cost of sales is 34.3 percent (31.4 percent to 37 percent) of total
sales.
· When 76.3 percent have sales volumes of over $1,000,000.
· Median total sales per full-time equivalent employee are $45,726 and average
3149-118 A-6-2
payroll for food and beverage is $16,145.
· Median total sales per square foot are $270 ($194 to $370).
· Median income before income taxes is 5.8 percent of total sales.
· Median total cost of sales is 29.7 percent of total sales.
· When 79.7 percent have sales volumes of over $400,000.
· Take-Out/Drive Through is 55 percent of sales, Outside catering is 5 percent,
and banquet services is 3 percent.
a. Alcoholic Beverage sales as a per-cent of total sales: * from NRA Full Service
Low 16.4%
Medium 20.4%
High 28.9%
Where It Went
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3149-118 A-6-4
Appendix 7
Intangible Assets:
Walsh v. Commissioner, T.C. Memo. 1988-242, aff’d, 884 F.2d 1393 (6th Cir. 1989)
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3149-118 A-7-2
Appendix 8
TIPS BROCHURES
ES&TG BROCHURES
TIPS POSTERS
· Pub 3551A, Catalog Number 28811J - "Reporting all Your Tips May Increase your
Unemployment Benefits and Worker's Compensation"
· Pub 3551B, Catalog Number 28812U - "I've got some tips for you…"
· Pub 3551 Catalog Number 28810Y - "Log Your Tips"
· Pub 3551C, Catalog Number. 28813F, "Reporting All Your Tips Adds Up"
PUBLICATIONS
· Publication 454 (Rev. 1-00) Catalog Number 63169E - Your Business Tax Kit (includes SS-
4, 1040ES, 9770, Pub 1, 509, 583, 910, 1544)
· Publication 531 - "Catalog Number 15059V - Reporting Tip Income.
A-8-1 3149-118
FORMS
· Form 8027 - Employer's Annual Information Return of Tip Income and Allocation of Tips –
Catalog Number 61013P
· Form 8846 - Credit for Employer Social Security and Medicare Taxes Paid on Certain
Employee Tips – Catalog Number 16148Z
· Form 4137 - Social Security and Medicare Tax on Unreported Tip Income – Catalog
Number. 12626C
· Form 3800 - General Business Credit
3149-118 A-8-2
Appendix 9
General Sites:
Financial Accounting Standards Board (FASB) www.fasb.org
America Institute of Certified Public Accountants (AICPA) www.aicpa.org
National Association of Enrolled Agents www.naea.org
National Association of Tax Practitioners www.natptax.com
Tax and Accounting Sites Directory www.taxsites.com
Tax Links www.taxlinks.com
Tax Sites www.taxresources.com
The CPA Journal www.cpaj.com
Association for Accounting Adm. www.accountingnet.com
American Bar Association (“Section of Taxation”) www.abanet.org/tax/sites.html
Rutgers Resources www.rutgers.edu
Wall Street Journal www.wsj.com
Internal Auditing www.bitwise.net/iawww
BigCharts.com (investment charting and research) www.bigcharts.com
Hoovers Online, Business Information Authority www.hoovers.com
U.S. Securities and Exchange Commission (SEC) www.sec.gov
Library of Congress www.loc.gov
Thomas Legislative Research http://thomas.loc.gov/
TCU Professor-Tax Links www.willyancey.com
Pathfinder, Your Guide to Websites of Time Inc. www.pathfinder.com
CNN News www.cnn.com
CPA Net www.cpalinks.com
ATF (Bureau of Alcohol Tobacco & Firearms www.atf.treas.gov
Food & Drug Administration www.fda.gov
Small Business Administration www.sba.gov
U.S. Department of Labor www.dol.gov
Business.com, Business Search Engine www.business.com
Money Laundering www.moneylaundering.com
Prime Time Publishing Company (Black Book Online) www.crimetime.com
Association of Certified Fraud Examiners www.cfenet.com
Department of Justice Tax Manual www.irstaxattorney.com
Small Business/Self-Employed, Employment Taxes
http://www.irs.gov/businesses/small/content/0,,id=98942,00.html
Restaurant Sites:
Nations Restaurant News www.nrn.com
National Restaurant Association www.restaurant.org
Restaurants & Institutions www.rimag.com
Food Institute, Other Food Industry Resources www.foodinstitute.com/othrlink.htm
Wine Institute www.wineinstitute.org
World Food & Beverage Report www.foodtrends.com
Thomas Food Industry Register www.tfir.com
A-9-1 3149-118
Retail Technology Newsletter www.retailtech.com
National Bar & Restaurant Management Association www.bar-restaurant.com
Restaurants for Sale - World Wide www.restaurants-for-sale.com
Restaurant Listings: www.cuisinenet.com
www.kerrymenu.com
www.restaurant-pages.com
3149-118 A-9-2
Appendix 10
BIBLIOGRAPHY
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Restaurant Seminar Institute, Inc., 2000. 800-526-5798 or 425-673-8748.
www.restaurantseminars.com
2. National Restaurant Association; Deloitte & Touche. Restaurant Industry Operations Report
2000. Washington, D.C.: 2000. 800-424-5156, ext. 5960.
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Vol. I and II. Fort Worth, Texas: Practitioners Publishing Company, Tenth Edition (October
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4. Biebl, Andrew R., CPA; Esch, John B., JD, CPA; Mares, Michael E., JD, CPA; McMurrian,
Sara S., CPA; Ranweiler, Robert J., CPA. Specialized Industry Tax Guide, Vol. I and II. Fort
Worth, Texas: Practitioners Publishing Company, Second Edition, August 2000.
www.ppcnet.com 800-323-8724.
6. Stefanelli, John. The Sale and Purchase of Restaurants. William F. Harrah College of Hotel
Administration, University of Nevada, Las Vegas: John Wiley & Sons, Inc. 1990.