Low Income Taxpayer Clinic Grant Program; Availability of 2024 Supplemental Grant Opportunity, 14150-14151 [2024-03791]
Download as PDF
14150
Federal Register / Vol. 89, No. 38 / Monday, February 26, 2024 / Notices
DEPARTMENT OF THE TREASURY
Internal Revenue Service
Low Income Taxpayer Clinic Grant
Program; Availability of 2024
Supplemental Grant Opportunity
Internal Revenue Service (IRS),
Treasury.
ACTION: Solicitation of grant
applications.
AGENCY:
This document contains a
notice that the IRS has provided a
supplemental grant opportunity in
www.grants.gov for organizations
interested in applying for a Low Income
Taxpayer Clinic (LITC) matching grant.
Supplemental grant funds may be
awarded for start-up expenditures
incurred by new clinics during 2024.
The budget and the period of
performance for the grant will be July 1,
2024–December 31, 2024. The
application period runs from February
26, 2024, through April 10, 2024.
Organizations currently receiving a
grant for 2024 are not eligible to apply
for this supplemental grant opportunity.
DATES: All applications for funding
pursuant to this supplemental funding
notice must be filed electronically by
11:59 p.m. (eastern time) on April 10,
2024. All organizations must use the
funding number of TREAS–GRANTS–
052024–002, and the Catalog of Federal
Domestic Assistance program number is
21.008, see www.sam.gov. The IRS is
scheduling two optional webinars,
where it will provide information about
the LITC Program and the supplemental
application process. Details on the dates
and times of the webinars are available
at www.taxpayeradvocate.irs.gov/aboutus/litc-grants/. Note that the selection
process for these part-year grants may
not be complete before the beginning of
the application period for the 2025 grant
year; thus, applicants for a grant for the
period July 1, 2024–December 31, 2024,
will be expected to submit an
application for full-year funding for the
2025 grant year during the 2025 grant
application period when announced
later this year.
FOR FURTHER INFORMATION CONTACT:
Karen Tober at (202) 317–9590 or by
email at karen.tober@irs.gov. The IRS
office that provides oversight of the
LITC grant program is the LITC Program
Office, located at: IRS, Taxpayer
Advocate Service, LITC Program Office,
TA:LITC, 1111 Constitution Avenue
NW, Room 1026, Washington, DC
20224. Copies of the IRS Publication
3319 (Rev. 5–2024), 2024 Grant
Application Package and Guidelines,
can be downloaded at https://www.
khammond on DSKJM1Z7X2PROD with NOTICES
SUMMARY:
VerDate Sep<11>2014
16:23 Feb 23, 2024
Jkt 262001
taxpayeradvocate.irs.gov/about-us/litcgrants/ or ordered by calling the IRS
Distribution Center toll-free at 1–800–
829–3676. See https://youtu.be/6kRrjNDNYQ for a short informational video
about the LITC Program. Note: To assist
organizations in applying for funding,
the ‘‘Reminders and Tips for
Completing Form 13424–M’’ available at
https://www.taxpayeradvocate.irs.gov/
about-us/litc-grants includes
instructions for which questions an
organization should complete if
requesting funding only for the English
as a second language (ESL) Education
Pilot Program described in this notice.
SUPPLEMENTARY INFORMATION:
Background
Pursuant to 26 U.S.C. 7526, the IRS
will annually award up to $6,000,000
(unless otherwise provided by specific
Congressional appropriation) to
qualified organizations, subject to the
limitations in the statute. Grants are for
the development, expansion, or
continuation of an LITC.
For FY 2023, pursuant to the
Consolidated Appropriations Act, 2023,
Congress doubled both the overall LITC
grant funding level from $13 million in
fiscal year (FY) 2022 to $26 million and
the maximum amount that may be
awarded to any clinic from $100,000 to
$200,000. See Public Law 117–328,
Division E. For FY 2024, the IRS is
currently operating under a Continuing
Resolution that expires on March 8,
2024. The President’s 2024 budget
request includes a continuation of the
overall LITC grant funding level at $26
million and the increased funding cap
of $200,00 per clinic. Thus, the IRS
remains hopeful that the funding will
remain at $26 million when an
appropriation for FY 2024 is enacted,
and that the increased per clinic cap of
$200,000 will also continue.
Consequently, the IRS is allowing
applicants to request up to $200,000 for
the 2024 supplemental grant period.
The IRS will also continue the ESL
Education Pilot Program that was rolled
out as part of the February 2023
supplemental funding opportunity. See
88 FR 13864–13866 (March 6, 2023). If
Congress ultimately does not continue
the LITC Program’s funding at $26
million and/or the increased per-clinic
funding cap of $200,000, the IRS will
adjust each supplemental grant
recipient’s award to reflect any
limitations in the appropriation for FY
2024.
At least 90 percent of the taxpayers
represented by the clinic must have
incomes which do not exceed 250
percent of the Federal poverty level as
determined under criteria established by
PO 00000
Frm 00111
Fmt 4703
Sfmt 4703
the Department of Health and Human
Services. See 89 FR 2961–63 (Jan. 17,
2024). In addition, the amount in
controversy for the tax year to which the
controversy relates generally cannot
exceed the amount specified in Internal
Revenue Code (IRC) section 7463
($50,000) for eligibility for special small
tax case procedures in the United States
Tax Court. IRC section 7526(c)(5)
requires clinics to provide dollar-fordollar matching funds, which may
consist of funds from other non-Federal
sources or contributions of volunteer
time. See IRS Pub. 3319 for additional
details.
Mission Statement
Low Income Taxpayer Clinics ensure
the fairness and integrity of the tax
system for taxpayers who are lowincome or ESL by providing pro bono
representation on their behalf in tax
disputes with the IRS; educating them
about their rights and responsibilities as
taxpayers; and identifying and
advocating for issues that impact these
taxpayers.
Expansion of the Type of Qualified
Services an Organization Can Provide
IRC section 7526(b)(1)(A) authorizes
the IRS to award grants to organizations
that represent low-income taxpayers in
controversies before the IRS and/or
provide education to ESL taxpayers
regarding their taxpayer rights and
responsibilities.
To achieve maximum access to justice
for low-income and ESL taxpayers, the
IRS has expanded the eligibility criteria
for a grant by removing the requirement
for eligible organizations to provide
direct controversy representation. In
addition, pursuant to the new ESL
Education Pilot Program started in 2023
and continuing for 2024, a supplemental
grant may be awarded to an organization
to operate a program to inform ESL
taxpayers about their taxpayer rights
and responsibilities under the IRC
without the requirement to also provide
tax controversy representation to lowincome taxpayers. See IRS Pub. 3319 for
examples of what constitutes a ‘‘clinic.’’
Selection Consideration
Despite the IRS’s efforts to foster
parity in availability and accessibility in
choosing organizations receiving LITC
matching grants and the continued
increase in clinic services nationwide,
there remain communities that are
underserved by clinics. The states of
Hawaii, Kansas, Nevada, North Dakota,
South Dakota, and West Virginia, and
the territory of Puerto Rico currently do
not have an LITC.
E:\FR\FM\26FEN1.SGM
26FEN1
khammond on DSKJM1Z7X2PROD with NOTICES
Federal Register / Vol. 89, No. 38 / Monday, February 26, 2024 / Notices
Although each application for the
2024 supplemental grant will be given
due consideration, the IRS is especially
interested in receiving applications from
organizations providing services in
these underserved geographic areas. For
organizations that intend to refer lowincome taxpayers in controversies with
the IRS to other qualified
representatives rather than providing
representation directly to low-income
taxpayers, priority will be given to
established organizations that can help
provide coverage to underserved
geographic areas. For the ESL Education
Pilot Program, special consideration
will be given to established
organizations with existing community
partnerships that can swiftly implement
and deliver services to the target
audiences.
As in prior years, the IRS will
consider a variety of factors in
determining whether to award a
supplemental grant, including: (1) the
number of taxpayers who will be
assisted by the organization, including
the number of ESL taxpayers in that
geographic area; (2) the existence of
other LITCs assisting the same
population of low-income and ESL
taxpayers; (3) the quality of the program
offered by the organization, including
the qualifications of its administrators
and qualified representatives, and its
record in providing services to lowincome taxpayers; (4) the quality of the
organization, including the
reasonableness of the proposed budget;
(5) the organization’s compliance with
all Federal tax obligations (filing and
payment); (6) the organization’s
compliance with all Federal nontax
obligations (filing and payment); (7)
whether debarment or suspension (31
CFR part 19) applies or whether the
organization is otherwise excluded from
or ineligible for a Federal award; and (8)
alternative funding sources available to
the organization, including amounts
received from other grants and
contributors and the endowment and
resources of the institution sponsoring
the organization.
For programs where all or the
majority of cases will be placed with
volunteers, we will also consider the
following: (1) the qualifications of the
representatives (attorneys, certified
public accountants, or enrolled agents)
who have agreed to accept taxpayer case
referrals from an LITC and provide
representation or consultation services
free of charge; and (2) the ability of the
organization to monitor referrals and
ensure that the pro bono representatives
are handling the cases properly,
including taking timely case actions and
ensuring services are offered for free.
VerDate Sep<11>2014
16:23 Feb 23, 2024
Jkt 262001
The final funding decisions are made
by the National Taxpayer Advocate,
unless recused. The costs of preparing
and applying for the grant are the
responsibility of each applicant.
Applications may be released in
response to Freedom of Information Act
requests after any necessary redactions
are made. Therefore, applicants must
not include any individual taxpayer
information. The IRS will notify each
applicant in writing once funding
decisions have been made.
Erin Collins,
National Taxpayer Advocate.
[FR Doc. 2024–03791 Filed 2–23–24; 8:45 am]
BILLING CODE P
DEPARTMENT OF THE TREASURY
Agency Information Collection
Activities; Submission for OMB
Review; Comment Request; State
Small Business Credit Initiative
Departmental Offices, U.S.
Department of the Treasury.
ACTION: Notice.
AGENCY:
The Department of the
Treasury will submit the following
information collection request to the
Office of Management and Budget
(OMB) for review and clearance in
accordance with the Paperwork
Reduction Act of 1995, on or after the
date of publication of this notice. The
public is invited to submit comments on
these requests.
DATES: Written comments must be
received on or before March 27, 2024 to
be assured of consideration.
ADDRESSES: Written comments and
recommendations for the proposed
information collection should be sent
within 30 days of publication of this
notice to www.reginfo.gov/public/do/
PRAMain. Find this particular
information collection by selecting
‘‘Currently under Review—Open for
Public Comments’’ or by using the
search function.
FOR FURTHER INFORMATION CONTACT:
Copies of the submissions may be
obtained from Spencer W. Clark by
emailing PRA@treasury.gov, calling
(202) 927–5331, or viewing the entire
information collection request at
www.reginfo.gov.
SUPPLEMENTARY INFORMATION:
Title: State Small Business Credit
Initiative.
OMB Control Number: 1505–0227.
Type of Review: Revision of a
currently approved collection.
Description: This information
collection captures information related
SUMMARY:
PO 00000
Frm 00112
Fmt 4703
Sfmt 4703
14151
to the State Small Business Credit
Initiative (SSBCI). The American Rescue
Plan Act of 2021 (ARPA) reauthorized
and amended the Small Business Jobs
Act of 2010 (SSBCI statute) to fund the
SSBCI as a response to the economic
effects of the COVID–19 pandemic.i
SSBCI is a Federal program
administered by the U.S. Department of
the Treasury (Treasury) that was created
to strengthen the programs of
jurisdictions (i.e., States, the District of
Columbia, Territories, Tribal
governments) that support private
financing for small businesses. SSBCI
includes the Capital Program, through
which Treasury provides funding to
jurisdictions to expand access to capital
for small businesses, and the Technical
Assistance (TA) Program, through
which jurisdictions provide legal,
accounting, and financial advisory
services (TA services) to very small and
underserved businesses that are
applying for SSBCI Capital Program
funding and other governmental
programs that support small businesses
(eligible beneficiaries). The TA Program
includes an allocation-formula based
TA Grant Program, as well as the
competitive grant SSBCI Investing in
America Small Business Opportunity
Program (SBOP), which Treasury
recently announced via a Notice of
Funding Opportunity (NOFO). Treasury
is updating the burden estimate for
OMB Control Number 1505–0227 to
better account for applications received
under the SBOP, as well as proposed
SBOP reporting requirements.ii
Form: Treasury’s portal, various
templates.
Affected Public: State, Territorial and
Tribal governments, small businesses.
Estimated Number of Respondents:
100 for application submission; 15 for
reporting.
i ARPA, Public Law 117–2, sec. 3301, codified at
12 U.S.C. 5701 et seq. SSBCI was originally
established in title III of the Small Business Jobs Act
of 2010.
ii The draft SSBCI Investing in America SBOP
application, including related templates and other
application materials, is available on Treasury’s
website at https://home.treasury.gov/policy-issues/
small-business-programs/state-small-businesscredit-initiative-ssbci/2021-ssbci/programmaterials/application-materials. If awarded a grant
under the SBOP, Treasury anticipates that SBOP
recipients will be required to submit progress
performance reports annually and financial reports
via Form SF–425 semi-annually, in accordance with
2 CFR 200.328 and 200.329 and the terms and
conditions of the grant. For progress performance
reporting, SBOP recipients will be required to track
and submit data on Treasury-specific data elements.
Treasury proposes to require reports for the SSBCI
Investing in America SBOP in substantially the
form of the reporting guidance used for the formulabased TA Grant Program, which may be found on
Treasury’s website at https://home.treasury.gov/
system/files/136/SSBCI-Technical-AssistanceReporting-Guidance.pdf.
E:\FR\FM\26FEN1.SGM
26FEN1
Agencies
[Federal Register Volume 89, Number 38 (Monday, February 26, 2024)]
[Notices]
[Pages 14150-14151]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2024-03791]
[[Page 14150]]
-----------------------------------------------------------------------
DEPARTMENT OF THE TREASURY
Internal Revenue Service
Low Income Taxpayer Clinic Grant Program; Availability of 2024
Supplemental Grant Opportunity
AGENCY: Internal Revenue Service (IRS), Treasury.
ACTION: Solicitation of grant applications.
-----------------------------------------------------------------------
SUMMARY: This document contains a notice that the IRS has provided a
supplemental grant opportunity in www.grants.gov for organizations
interested in applying for a Low Income Taxpayer Clinic (LITC) matching
grant. Supplemental grant funds may be awarded for start-up
expenditures incurred by new clinics during 2024. The budget and the
period of performance for the grant will be July 1, 2024-December 31,
2024. The application period runs from February 26, 2024, through April
10, 2024. Organizations currently receiving a grant for 2024 are not
eligible to apply for this supplemental grant opportunity.
DATES: All applications for funding pursuant to this supplemental
funding notice must be filed electronically by 11:59 p.m. (eastern
time) on April 10, 2024. All organizations must use the funding number
of TREAS-GRANTS-052024-002, and the Catalog of Federal Domestic
Assistance program number is 21.008, see www.sam.gov. The IRS is
scheduling two optional webinars, where it will provide information
about the LITC Program and the supplemental application process.
Details on the dates and times of the webinars are available at
www.taxpayeradvocate.irs.gov/about-us/litc-grants/. Note that the
selection process for these part-year grants may not be complete before
the beginning of the application period for the 2025 grant year; thus,
applicants for a grant for the period July 1, 2024-December 31, 2024,
will be expected to submit an application for full-year funding for the
2025 grant year during the 2025 grant application period when announced
later this year.
FOR FURTHER INFORMATION CONTACT: Karen Tober at (202) 317-9590 or by
email at [email protected]. The IRS office that provides oversight of
the LITC grant program is the LITC Program Office, located at: IRS,
Taxpayer Advocate Service, LITC Program Office, TA:LITC, 1111
Constitution Avenue NW, Room 1026, Washington, DC 20224. Copies of the
IRS Publication 3319 (Rev. 5-2024), 2024 Grant Application Package and
Guidelines, can be downloaded at https://www.taxpayeradvocate.irs.gov/about-us/litc-grants/ or ordered by calling the IRS Distribution Center
toll-free at 1-800-829-3676. See https://youtu.be/6kRrjN-DNYQ for a
short informational video about the LITC Program. Note: To assist
organizations in applying for funding, the ``Reminders and Tips for
Completing Form 13424-M'' available at https://www.taxpayeradvocate.irs.gov/about-us/litc-grants includes instructions
for which questions an organization should complete if requesting
funding only for the English as a second language (ESL) Education Pilot
Program described in this notice.
SUPPLEMENTARY INFORMATION:
Background
Pursuant to 26 U.S.C. 7526, the IRS will annually award up to
$6,000,000 (unless otherwise provided by specific Congressional
appropriation) to qualified organizations, subject to the limitations
in the statute. Grants are for the development, expansion, or
continuation of an LITC.
For FY 2023, pursuant to the Consolidated Appropriations Act, 2023,
Congress doubled both the overall LITC grant funding level from $13
million in fiscal year (FY) 2022 to $26 million and the maximum amount
that may be awarded to any clinic from $100,000 to $200,000. See Public
Law 117-328, Division E. For FY 2024, the IRS is currently operating
under a Continuing Resolution that expires on March 8, 2024. The
President's 2024 budget request includes a continuation of the overall
LITC grant funding level at $26 million and the increased funding cap
of $200,00 per clinic. Thus, the IRS remains hopeful that the funding
will remain at $26 million when an appropriation for FY 2024 is
enacted, and that the increased per clinic cap of $200,000 will also
continue. Consequently, the IRS is allowing applicants to request up to
$200,000 for the 2024 supplemental grant period. The IRS will also
continue the ESL Education Pilot Program that was rolled out as part of
the February 2023 supplemental funding opportunity. See 88 FR 13864-
13866 (March 6, 2023). If Congress ultimately does not continue the
LITC Program's funding at $26 million and/or the increased per-clinic
funding cap of $200,000, the IRS will adjust each supplemental grant
recipient's award to reflect any limitations in the appropriation for
FY 2024.
At least 90 percent of the taxpayers represented by the clinic must
have incomes which do not exceed 250 percent of the Federal poverty
level as determined under criteria established by the Department of
Health and Human Services. See 89 FR 2961-63 (Jan. 17, 2024). In
addition, the amount in controversy for the tax year to which the
controversy relates generally cannot exceed the amount specified in
Internal Revenue Code (IRC) section 7463 ($50,000) for eligibility for
special small tax case procedures in the United States Tax Court. IRC
section 7526(c)(5) requires clinics to provide dollar-for-dollar
matching funds, which may consist of funds from other non-Federal
sources or contributions of volunteer time. See IRS Pub. 3319 for
additional details.
Mission Statement
Low Income Taxpayer Clinics ensure the fairness and integrity of
the tax system for taxpayers who are low-income or ESL by providing pro
bono representation on their behalf in tax disputes with the IRS;
educating them about their rights and responsibilities as taxpayers;
and identifying and advocating for issues that impact these taxpayers.
Expansion of the Type of Qualified Services an Organization Can Provide
IRC section 7526(b)(1)(A) authorizes the IRS to award grants to
organizations that represent low-income taxpayers in controversies
before the IRS and/or provide education to ESL taxpayers regarding
their taxpayer rights and responsibilities.
To achieve maximum access to justice for low-income and ESL
taxpayers, the IRS has expanded the eligibility criteria for a grant by
removing the requirement for eligible organizations to provide direct
controversy representation. In addition, pursuant to the new ESL
Education Pilot Program started in 2023 and continuing for 2024, a
supplemental grant may be awarded to an organization to operate a
program to inform ESL taxpayers about their taxpayer rights and
responsibilities under the IRC without the requirement to also provide
tax controversy representation to low-income taxpayers. See IRS Pub.
3319 for examples of what constitutes a ``clinic.''
Selection Consideration
Despite the IRS's efforts to foster parity in availability and
accessibility in choosing organizations receiving LITC matching grants
and the continued increase in clinic services nationwide, there remain
communities that are underserved by clinics. The states of Hawaii,
Kansas, Nevada, North Dakota, South Dakota, and West Virginia, and the
territory of Puerto Rico currently do not have an LITC.
[[Page 14151]]
Although each application for the 2024 supplemental grant will be
given due consideration, the IRS is especially interested in receiving
applications from organizations providing services in these underserved
geographic areas. For organizations that intend to refer low-income
taxpayers in controversies with the IRS to other qualified
representatives rather than providing representation directly to low-
income taxpayers, priority will be given to established organizations
that can help provide coverage to underserved geographic areas. For the
ESL Education Pilot Program, special consideration will be given to
established organizations with existing community partnerships that can
swiftly implement and deliver services to the target audiences.
As in prior years, the IRS will consider a variety of factors in
determining whether to award a supplemental grant, including: (1) the
number of taxpayers who will be assisted by the organization, including
the number of ESL taxpayers in that geographic area; (2) the existence
of other LITCs assisting the same population of low-income and ESL
taxpayers; (3) the quality of the program offered by the organization,
including the qualifications of its administrators and qualified
representatives, and its record in providing services to low-income
taxpayers; (4) the quality of the organization, including the
reasonableness of the proposed budget; (5) the organization's
compliance with all Federal tax obligations (filing and payment); (6)
the organization's compliance with all Federal nontax obligations
(filing and payment); (7) whether debarment or suspension (31 CFR part
19) applies or whether the organization is otherwise excluded from or
ineligible for a Federal award; and (8) alternative funding sources
available to the organization, including amounts received from other
grants and contributors and the endowment and resources of the
institution sponsoring the organization.
For programs where all or the majority of cases will be placed with
volunteers, we will also consider the following: (1) the qualifications
of the representatives (attorneys, certified public accountants, or
enrolled agents) who have agreed to accept taxpayer case referrals from
an LITC and provide representation or consultation services free of
charge; and (2) the ability of the organization to monitor referrals
and ensure that the pro bono representatives are handling the cases
properly, including taking timely case actions and ensuring services
are offered for free.
The final funding decisions are made by the National Taxpayer
Advocate, unless recused. The costs of preparing and applying for the
grant are the responsibility of each applicant. Applications may be
released in response to Freedom of Information Act requests after any
necessary redactions are made. Therefore, applicants must not include
any individual taxpayer information. The IRS will notify each applicant
in writing once funding decisions have been made.
Erin Collins,
National Taxpayer Advocate.
[FR Doc. 2024-03791 Filed 2-23-24; 8:45 am]
BILLING CODE P