Most Serious Problem #1: Processing and Refund Delays
37Annual Report to Congress 2021
Most Serious Problems
MOST SERIOUS PROBLEM #1
PROCESSING AND REFUND DELAYS: Excessive Processing and
Refund Delays Harm Taxpayers
WHY THIS IS A SERIOUS PROBLEM FOR TAXPAYERS
During 2021, tens of millions of taxpayers were forced to wait extraordinarily long periods of time
for the IRS to process their tax returns, issue their refunds, and address their correspondence. More
than 75 percent of individual income tax return lings resulted in refunds, which for many taxpayers
included Earned Income Tax Credit (EITC) and Child Tax Credit benets. Millions of taxpayers
rely on these benets to pay their basic living expenses. erefore, processing delays caused nancial
hardships for some taxpayers and extreme frustration for many more. At the close of the 2021 ling
season, the IRS had 35.3 million returns awaiting manual processing.
1
As the IRS is preparing to begin the 2022 ling season, it is poised to carry over millions of
unprocessed returns and millions of pieces of taxpayer correspondence, resulting in even longer
delays for taxpayers who have been patiently waiting for far too long. To add complexity, when
taxpayers le their 2021 tax returns, millions who received Advance Child Tax Credit (AdvCTC)
payments will have to reconcile the monthly advanced payments they received with the amounts
for which they are eligible. Similarly, eligible taxpayers who did not receive some or all of the third
round of stimulus payments, as authorized by the American Rescue Plan Act (ARPA), will have
to claim them as credits on their returns. us, the unprecedented processing and refund delays
taxpayers experienced in 2021 could be as bad, and potentially worse, in 2022, particularly if more
taxpayers do not le electronically or properly reconcile their monthly AdvCTC payments or the
third stimulus payment with their 2021 return.
EXPLANATION OF THE PROBLEM
e IRS relies on taxpayers to do their part by ling accurate and timely tax returns. In exchange, the IRS
pays out refunds – generally quickly – and can focus its resources on compliance eorts for those who do
not comply. e pandemic, lack of funding, and depleted stang has caused a high volume of backlogged
inventory, and taxpayers are frustrated with the lengthy delays in the processing of their returns and
correspondence with little or no communication from the IRS. As of mid-December, the IRS had:
6.2 million unprocessed individual returns (Form 1040);
2.8 million unprocessed business returns (Form 941);
2.4 million unprocessed amended individual returns (Form 1040-X);
427,000 unprocessed amended business returns (Form 941-X); and
Approximately 4.75 million pieces of general taxpayer correspondence.
2
While much of the processing delay is related to tax year 2020 paper returns, some taxpayers are still waiting
for resolution of their electronically led 2020 tax returns, amended returns, and correspondence replying to
IRS notices.
e IRS is in crisis and needs to apply resources to its core mission– processing these returns and paying
the corresponding refunds. Some of these refunds contain COVID-19-related relief that Congress provided
taxpayers over a year ago but for which they are still waiting. For other taxpayers, their refund may provide
critical funds for basic living expenses or for employee payroll. And for many taxpayers, their unprocessed
Most Serious Problem #1: Processing and Refund Delays
Taxpayer Advocate Service38
Most Serious Problems
tax returns are impacting their ability to obtain a mortgage, renance their house, or obtain student loans.
Without reasonable levels of service on the phones, and with inadequate online accounts, taxpayers are left in
the dark.
is issue, like the others discussed throughout this report, is not only due to the pandemic. It is also a
direct result of a diminishing budget over the past ten years that has led to a lack of adequate stang among
IRS processing sta.
3
e ongoing processing delays combined with the IRS’s loss of its processing sta and
inability to hire employees all negatively impact the 2022 ling season. e IRS will be carrying over millions
of unprocessed tax returns and taxpayer correspondence into 2022. With its current stang, the IRS will nd
itself in the dicult position of trying to timely process 2022 ling season returns while simultaneously trying
to resolve its existing backlog. As the IRS entered the 2021 ling season, the IRS estimated that it had more
than 11.7 million paper-led individual and business returns that it still needed to manually process.
4
at
additional strain on its resources resulted in delays that continued through the end of the year.
e 2022 ling season is poised to be another dicult one as the IRS also grapples with the reality of
operating under a continuing resolution that negatively impacts its ability to hire. In addition, it is
anticipated that the COVID-19 vaccine mandate may cause additional stang shortages at campus locations
across the IRS. Similar to the last ling season, taxpayers will be reconciling the Rebate Recovery Credits
(RRC) on their tax returns, and for the rst time, they will be reconciling advance payments of the Child Tax
Credit (CTC) as well. Last year, the IRS manually processed over 11 million returns due to inconsistencies
between IRS records of the rst and second stimulus payments and the RRC claimed on these returns.
5
With
tens of millions of individuals claiming AdvCTC and RRC for the third stimulus payment, we believe the IRS
will again be faced with the daunting task of manually reviewing tens of millions of returns, thus causing more
processing and refund delays for millions of taxpayers. Without more stang, these returns and refunds will
be delayed even further.
While the IRS can ask taxpayers and practitioners to be patient as the IRS makes its way through its backlog,
many have reached the limit of that patience. Taxpayers are doing their part to comply, but the IRS is not
fullling its end of the bargain. e IRS needs to take immediate steps to fulll its core mission – timely
process tax returns during the ling season and issue refunds to taxpayers in a timely fashion. Moreover,
the IRS needs to provide taxpayers with specic information about when to expect the IRS to process their
returns, issue their refunds, or answer their correspondence. is past ling season left millions of taxpayers
without answers or the monies to which they are rightfully entitled.
ANALYSIS
How Did We Get Here?
e IRS backlog results from several issues: the COVID-19 pandemic, a continued reduction in budgets
and stang levels within the IRS, and the impact of multiple legislative changes over the last two years. e
processing of tax returns and issuance of refunds are the IRS’s main priorities during the ling season, but the
scal year (FY) 2021 ling season was an extremely dicult one for taxpayers, practitioners, and the IRS.
6
Entering the 2021 ling season, the IRS still had not processed a backlog of paper tax returns and taxpayer
correspondence received during the 2020 ling season.
7
At the end of calendar year (CY) 2020, the IRS
estimated that it had more than 11.7 million paper-led individual and business returns that it still needed
to manually process.
8
e IRS continued to operate with less than full stang, due to social distancing
requirements related to the ongoing pandemic and ongoing insucient budgets that have not allowed the IRS
to fully sta its taxpayer service operations for several years.
9
September 2021 marked the ocial closure of
the Fresno paper return processing center. Originally announced in 2016 as part of the IRS’s consolidation
of its processing centers, the closing of the Fresno location was driven by the continued growth in electronic
Most Serious Problem #1: Processing and Refund Delays
39Annual Report to Congress 2021
Most Serious Problems
ling and IRS eorts to consolidate resources.
10
While the Fresno closure was only recently nalized, the IRS
has been working since 2016 to nd new positions for its Fresno processing employees, once again leaving the
IRS without enough trained employees to deal with the ongoing paper return backlog.
FIGURE 2.1.1, Tax Returns Received by Type and Year
11
Returns Received – Type/Year CY 2018 CY 2019 CY 2020 CY 2021
Paper Forms 1040 16,513,569 16,948,000 14,852,000 16,202,000
Electronic Forms 1040 133,842,282 138,047,000 152,232,000 151,765,000
Paper Forms 1040-X 3,262,509 2,882,013 2,486,555 2,129,027
Electronic Forms 1040-X 0 0 144,214 1,752,219
Paper Forms 941 10,301,497 12,770,328 11,594,459 10,775,793
Electronic Forms 941 14,138,707 12,093,323 12,939,196 14,199,749
Paper Forms 941-X 330,079 325,718 338,678 738,422
Electronic Forms 941-X 0 0 0 0
Forms 1045 33,540 6,720 28,695 18,825
Forms 1139 22,139 4,360 22,882 16,337
Pandemic Legislation Drove Additional Paper Return Filings
Over the past two ling seasons, Congress has passed four major pieces of legislation designed to help mitigate
the economic impact of COVID-19 for taxpayers and businesses.
12
While new tax legislation often challenges
the IRS’s ability to implement changes quickly, recent pandemic legislation has had a twofold eect: rst, the
IRS was responsible for quickly implementing several new provisions, and second, some of these provisions
resulted in taxpayers having to le paper returns to receive the relief Congress was providing. Millions of
taxpayers either did not receive their stimulus payments or did not receive the correct amount. For these
taxpayers, the legislation required them to reconcile on their 2021 tax returns the dierence between the
amount they received and the amount they should have received. To further complicate matters, the criteria
for the three dierent rounds of stimulus payments included dierent qualications or denitions of a
dependent, and millions of taxpayers calculated their dependent payments on the incorrect assumption that
the last legislation was the standard for the prior two qualifying denitions of a dependent.
e Coronavirus Aid, Relief, and Economic Security (CARES) Act made several modications to net
operating losses (NOLs) and authorized a carrybackof any NOL arising in a taxable year beginning after
December 31, 2017, and before January 1, 2021, to each of the ve taxable years preceding the taxable year
in which the loss arose. It also modied the credit for prior-year minimum tax liability of corporations and
permitted an election for taxpayers to exclude or waive an IRC § 965(a) tax year from loss carrybacks.
13
To
take advantage of these changes, corporations could claim a refund on Form1139, Corporation Application
for Tentative Refund, or by ling an amended return.
14
Individuals could claim a refund from a carryback
by ling Form 1045, Application for Tentative Refund, or Form 1040-X, Amended U.S. Individual Income
Tax Return.
15
Unfortunately, the tentative refund forms require a paper return that taxpayers cannot le
electronically. e IRS is still struggling to process paper returns, and some tentative refund requests have
been waiting up to a year or longer.
16
The goal of the CARES Act was to immediately get money into the hands of businesses suffering during the
pandemic. Statutorily, the IRS should process these forms within 90 days.
17
However, this is not happening.
Although the IRS had sufficient time to staff a tentative allowance unit, it chose not to do so. As a result, the
IRS has not been able to handle the processing and payment of the tentative allowance refunds. Due to delays
Most Serious Problem #1: Processing and Refund Delays
Taxpayer Advocate Service40
Most Serious Problems
in processing, the IRS had to pay nearly $435 million in interest on these tentative refund claims that were
received in2020, and more interest is still accruing on pending claims.
18
The IRS itself acknowledges on its operating status page that it continues “to experience inventory backlogs
and processing times longer than the normal 90-day statutory period,” and it “cannot provide a timeframe
for how long businesses may have to wait. The IRS’s advice to taxpayers is simply to “consider the significant
additional approval time and plan for it.
19
This is money that businesses may need to pay employees and keep
their doors open, yet the IRS is putting the burden on the businesses to plan for the IRS’s own delays. This
advice might be more palatable if the IRS could provide a realistic timeframe for processing or even inform
taxpayers how many tentative refund claims are in the backlog; unfortunately, the IRS does not have this
information available. It is not possible for businesses to plan for additional approval times, as the IRS advises,
when they are not given any information about how long those times are. To comply with the statute and
provide the financial relief Congress intended, the IRS should immediately establish a unit to solely focus on
processing these tentative refund claims. TAS is assisting businesses and practitioners that have been waiting
for almost nine months for a response from the IRS on these tentative refunds, and there is no end in sight.
Similar challenges arise in the processing of Form 941-X, Adjusted Employer’s Quarterly Federal Tax Return
or Claim for Refund, which employers used to claim certain COVID-19-related employment tax credit
benets.
20
As of November 17, 2021, the IRS reported having approximately 402,000 Forms 941-X that
it cannot process until the related Form 941 is processed rst. e IRS has 2.4 million unprocessed Forms
941.
21
In assisting taxpayers, TAS has been told that IRS employees are still awaiting guidance on how to
process these claims. In one case, the IRS’s response to countless TAS Operations Assistance Requests (OARs)
dating back to June was simply that it is still awaiting processing guidance for these claims.
22
It has been close
to a year since legislative changes sought to provide relief to employers – relief that necessitated ling Form
941-X to claim it. Lack of guidance is not a sucient excuse for why the IRS has not processed these returns.
e IRS is one agency, and if one part of the agency requires assistance from another part to comply with a
legal requirement, IRS management must ensure that there is sucient coordination to make it happen.
While the IRS cannot control the legislative changes it must implement, it can still take steps to mitigate
some of its problems and delays. It should prioritize the processing of paper returns and issuing refunds
immediately, realigning resources if necessary. The IRS beginning to focus more on compliance activities
when it hasnt finished processing tax returns is unfair to the millions of individual and business taxpayers
who are still waiting for their refunds. The IRS should reallocate its resources and assign all hands on
deck to process returns (original and amended), issue pending refunds, and reply to the millions of IRS
notice responses and inquiries by taxpayers. If the IRS can train new employees to work in the submission
processing function, it can certainly train its existing workforce to truly be “all hands on deck” until it catches
up with its processing backlog and gets through the upcoming filing season. Until it processes the backlog of
returns and correspondence, the IRS should temporarily suspend automated collection activity. Generating
notices while issues are still pending only creates additional phone calls and correspondence that cause
headaches for many taxpayers and representatives.
Taxpayers Are Paying the Price for IRS Delays
Given the combination of reduced staffing, the pandemic, and multiple legislative changes that required
significant resources to implement, the current backlog of paper returns is not surprising. Yet even if
understandable, the taxpayer impact is severe. Taxpayers who have filed their tax returns continue to wait,
and wait, and wait for any update from the IRS. Over the past few months, as TAS has urged, the IRS has
begun to provide updates on processing and other delays on its IRS Operations website.
23
This information
is a start, if only because it provides some transparency to the process and gives taxpayers more realistic
expectations of when the IRS may process their returns.
24
While the IRS has the Wheres My Refund? and
Wheres My Amended Return? tools, as well as the IRS2Go mobile app, neither the tools nor the app provides
Most Serious Problem #1: Processing and Refund Delays
41Annual Report to Congress 2021
Most Serious Problems
taxpayers specific information as to what is causing their particular delay or when they may receive their
refund.
25
TAS has recommended that the IRS improve its online resources to provide taxpayers with specic
information about the cause of a refund delay, what information the taxpayer needs to furnish, if any, and a
reasonable estimate as to when the IRS expects to issue the refund.
26
While keeping taxpayers better informed about the status of their account issues would be a big step forward,
it will not, by itself, get refunds to taxpayers more quickly. According to the IRS, average tax refunds were
up over 11 percent in 2021 due to many of the COVID-19 relief provisions. The 2021 average refund was
$2,775, up from $2,495 in 2020, and the average direct deposit refund was even higher at $2,851, compared
to $2,592 the prior year.
27
This means that the economic impact for taxpayers still waiting for their refunds is
even greater. In November, one taxpayer reported filing his taxes in March, and he was waiting for an $8,000
refund. He tried contacting the IRS numerous times only to be told the IRS would process his return in 19
days – but he was still waiting for his refund as of November.
28
Many taxpayers desperately need the money
and cannot afford to wait. One taxpayer, who is fighting cancer, noted that with her health deteriorating; she
desperately needs her tax refund to pay her mortgage. As of November, she was also still waiting.
29
Most taxpayers cannot get through to a telephone assistor on the toll-free lines to check on the status of their
returns.
30
For those who are lucky enough to get through, the IRS’s response often leaves much to be desired.
One Certified Public Accountant posted on Twitter a copy of the letter she received from the IRS stating:
Thank you for the inquiry of Oct. 15, 2021 to resolve your account with us. We received your
Amended Return on March 22, 2021 and we apologize we are still experiencing processing delays.
We do not have a specified timeframe to advise on when the return will be processed…
31
Ongoing Delays Have Broken the Safety Net for Taxpayers
One of TAS’s many roles is to be the safety net for taxpayers– to catch taxpayers when IRS processes break
down and taxpayers fall through the cracks. TAS case acceptance criteria focus on cases in which taxpayers are
experiencing an economic hardship or current processes are broken, and absent TAS assistance, they may not
receive relief.
32
e ongoing backlog in return processing has noticeably shifted TAS case receipts. Despite
changes in TAS case acceptance criteria, TAS received 264,343 cases in FY2021, which is 57,571 more cases
than received in FY2020, an increase of nearly 28 percent.
33
Figure 2.1.2 compares the top ten sources of
TAS receipts by issue for FYs 2020-2021.
34
Given the combination of reduced staffing, the pandemic, and multiple
legislative changes that required significant resources to implement,
the current backlog of paper returns is not surprising. Yet even if
understandable, the taxpayer impact is severe.
Most Serious Problem #1: Processing and Refund Delays
Taxpayer Advocate Service42
Most Serious Problems
FIGURE 2.1.2, Top Ten Issues for FY 2021 Cases Received in TAS Compared to
FY 2020
35
Rank Issue Description FY 2020 FY 2021
FY 2021
Percent
of Total
Percent
Change
FY 2020 to
FY 2021
1 Tax Return Filings: Unpostables and Rejects 15,784 45,665 17.3% 189.3%
2 Tax Return Filings: Pre-Refund Wage Verification Hold 68,499 36,937 14.0% -46.1%
3 Processing Amended Returns 7,676 20,961 7.9% 173.1%
4 Processing Original Returns 8,509 14,766 5.6% 73.5%
5 Earned Income Tax Credit (EITC) 12,176 14,588 5.5% 19.8%
6 Health Insurance Premium Tax Credit for Individuals 8,287 14,550 5.5% 75.6%
7 Other Refund Inquiries and Issues 8,187 11,642 4.4% 42.2%
8 Taxpayer Protection Program (TPP) Issues 7,098 11,412 4.3% 60.8%
9 Identity Theft 5,900 9,234 3.5% 56.5%
10 Math Error 1,505 4,983 1.9% 231.1%
Other TAS Receipts 63,151 79,605 30.1% 26.1%
Total TAS Receipts 206,772 264,343 27.8%
Not surprisingly, much of the increase in TAS cases can be attributed to IRS processing issues– which include
unpostable and reject cases.
36
Unfortunately, these are not cases where TAS is performing its core advocacy
work. Rather, they are cases where TAS is simply following up with the IRS to get returns processed and
refunds issued. For most taxpayers, getting their returns processed so they can receive their refunds is their
top priority; however, there is little TAS can do to expedite the processing of a tax return. TAS employees
generally can only resolve a taxpayers account problem if there is relevant information on IRS systems. If
a paper return is sitting in a processing center, TAS has no way to locate the return, and the IRS operating
divisions generally cannot locate the return until the IRS processes the return. When TAS accepts a case
involving an unprocessed tax return, it can do little more than monitor the taxpayers account until the IRS
processes the delayed return. is takes valuable time and resources away from other taxpayers with more
complex issues where TAS can provide advocacy and move a case toward resolution.
Our congressional cases show the same issues. In FY2021, TAS congressional receipts totaled 66,453
cases, an 88.5 percent increase from FY2020– and a staggering 526 percent increase over the 10,620
congressionally referred cases received in FY2019, the last pre-pandemic year.
37
Figure 2.1.3 highlights the
top five issues in congressional cases for FY2021. Congressional case receipts involving “Unpostables” and
“Rejects” increased by almost 300 percent, and Processing Amended Returns case receipts increased by almost
400 percent.
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43Annual Report to Congress 2021
Most Serious Problems
FIGURE 2.1.3, Top Five Congressional Receipts by Primary Core Issue Codes for
FY 2021 Compared to FY 2020
38
Rank Issue Description FY 2020 FY 2021
Percent
Change
1 Tax Return Filings: Unpostables and Rejects 4,710 18,648 295.9%
2 Processing Original Returns 4,368 9,233 111.4%
3 Processing Amended Returns 919 4,502 389.9%
4 Taxpayer Protection Program Issues 1,704 4,104 140.8%
5 Other Refund Inquiry or Issue 1,823 3,988 118.8%
TAS has essentially become a secondary return processing function. rough OARs and Taxpayer Assistance
Orders (TAOs), TAS requests the IRS prioritize the processing of our cases.
39
TAS issued hundreds of TAOs
to the IRS’s Submission Processing and Accounts Management functions to expedite the processing of both
2019 and 2020 returns.
40
is is problematic and should not be a signicant portion of TAS’s work.
TAS casework is not the only place that is suering. With the low levels of service on the IRS toll-free lines,
TAS’s intake operations have also struggled with a much higher number of calls. Many taxpayers have been
unable to get answers about their tax return, refund, or other issues from the IRS, so they turn to TAS for
assistance. Calls to the TAS toll-free lines increased from 81,210 in FY2017 to 212,733 in FY2021, an
increase of 162 percent. TAS simply could not keep up with the number of taxpayer inquiries, and TAS’s
intake operations Level of Service dropped to an unacceptable level of 30 percent.
41
Taxpayers quickly
overwhelmed voicemail systems in local TAS oces, and TAS was forced to implement a phone gating system
designed to manage the number of phone messages left by taxpayers. TAS’s inability to assist all taxpayers is
unacceptable, and it is not our mission to pick up the work when the IRS is unable to keep up with it.
This work has strained TAS resources to the point where TAS had to make difficult decisions about which
cases to accept. TAS does not accept cases in which we cannot meaningfully expedite or improve assistance
to taxpayers. In November, case receipts for amended return issues continued to climb, and the IRS was
unable to provide the status on the processing of many of these returns.
42
e IRS had a backlog of more
than 2.7 million unprocessed amended returns, and the IRS estimated processing times to take well over 20
weeks.
43
Because of the IRS’s processing delays, TAS could not meaningfully advocate for taxpayers in these
amended return cases and found itself unable to expedite processing for taxpayers. In all of FY2021, TAS
issued bulk TAOs to assist 477 taxpayers with processing amended returns. In the rst month and a half of
FY2022, we issued bulk TAOs instructing the IRS to process the amended returns for 3,660 taxpayers. On
November 9, 2021, the National Taxpayer Advocate issued a Taxpayer Advocate Directive (TAD) directing
the IRS to complete processing of all backlogged amended tax returns by December 29, 2021, or provide a
detailed plan for completing processing of the backlog.
44
This is not a position TAS should be in or wants to be in. Our goal is to provide assistance to every taxpayer
who meets our criteria. However, TAS does not have the resources to take on the IRS’s work simply because
the IRS is overwhelmed, and it is not the mission Congress has given us. Doing so jeopardizes our role in tax
administration and prevents us from devoting our resources to help taxpayers in areas where TAS assistance can
make a difference. In short, TAS is designed to be the safety net for taxpayers– not the safety net for the IRS.
The IRS Is Not Proactively Solving the Backlog of Amended Returns
In its response to the TAD, the IRS stated that it “does not have the resources to complete processing of all
backlogged/unprocessed amended returns by December 29, 2021,” and it is “pursuing several approaches
to reduce the amended return inventory.
45
The IRS’s response is disappointing and does not solve the
Most Serious Problem #1: Processing and Refund Delays
Taxpayer Advocate Service44
Most Serious Problems
unprocessed return problem in the near future. While we recognize the resource limitations the IRS is facing,
the TAD response failed to provide a detailed plan to address the processing backlog. Drastic times call for
drastic measures. The IRS must take extraordinary measures to get the processing backlog resolved and pay
the outstanding refunds. It needs to move into the next filing season with minimal backlog and reduce future
processing challenges impacting all taxpayers.
The IRS’s efforts to hire are commendable, but as noted elsewhere, hiring is a long-term solution that will
not have an immediate impact.
46
 And while better control of inventory and the use of overtime will help,
they are not enough. In its response, the IRS commits to doing very little to address the processing backlog
to ensure taxpayers expeditiously get the refunds to which they are entitled. Instead, it avoids making any
firm commitments to address the problem and instead talks about “explor[ing] flexibilities in use of CSR
resources” and “continu[ing] to look at innovations we can implement, such as new technology, including
tools to automate repetitive transactions and new digital capabilities…”
47
 We fully support this exploration
and attempts at innovation, but the IRS needs to address this problem now – not a year or more from now.
Regarding the processing problems, the IRS is not providing meaningful updates for IRS.gov, instead saying
that the Wage and Investment Division “is working with TAS to develop a plan to provide weekly data and to
post meaningful updates on IRS.gov.
48
Taxpayers are seeking updates now– not in the future. Taxpayers are
looking for refunds now– not in the future.
The TAD response does not adequately address the problem in front of it – that the IRS is harming millions
of taxpayers. Although the IRS is to be commended for processing the vast majority of original filed returns,
quickly administering three rounds of stimulus payments, and within months commencing payments of
AdvCTC, it still has not completed its core filing season responsibilities or the processing of amended returns.
Based on its response to our TAD, the IRS does not appear to have any strategic plan in place to immediately
address an issue that continues to plague millions – and likely will for the foreseeable future. Taxpayers
deserve better than this from the IRS.
CONCLUSION AND RECOMMENDATIONS
The IRS must take extraordinary steps to resolve the backlog of filings and issue long overdue refunds. This
filing season should not be repeated or become the norm. Taxpayers who file returns timely should not
wait months on end for a refund, with no sign of hope in sight and no communication from the IRS. The
IRS should not be forced to choose between answering the phone lines and processing returns or between
responding to taxpayer correspondence and providing walk-in service. Unfortunately, as we sit today, the IRS
is not performing any of these services well. Until it resolves the correspondence backlog and digs itself out of
the hole in which it finds itself, the IRS should stop all automated collection notices until it addresses taxpayer
responses to IRS notices.
As the IRS prepares for the 2022 filing season with millions of unprocessed returns and continues to operate
without a full-year budget, and as it recognizes millions of taxpayers will need to reconcile their AdvCTC
monthly payments and third stimulus payments on their 2021 tax returns, the outlook for the upcoming
TAS does not have the resources to take on the IRS’s work simply
because the IRS is overwhelmed, and it is not the mission Congress has
given us. ... In short, TAS is designed to be the safety net for taxpayers –
not the safety net for the IRS.
Most Serious Problem #1: Processing and Refund Delays
45Annual Report to Congress 2021
Most Serious Problems
filing season is bleak.
49
The IRS relies on taxpayers to timely file accurate tax returns, and in turn, taxpayers
rightfully expect the IRS to take timely action on their tax filings. If we want to maximize compliance by
individuals and businesses with the tax laws, we need a tax administration agency that is responsive and
helpful. That means it must be able to answer taxpayer questions, process returns and issue refunds quickly,
and respond to taxpayer correspondence within reasonable timeframes. Over the past year and a half, the
IRS has failed to meet taxpayer needs and expectations. Much of its struggles are attributable to insufficient
staffing. To improve taxpayer service, Congress must provide the IRS with sufficient resources. For its
part, the IRS must take steps to ensure that it is prioritizing taxpayer service – which includes processing tax
returns – before it turns its attention to compliance work. The IRS has been continuously asked to do more
with less, and it has reached a point where providing basic services is no longer possible. Congress and the
IRS will continue to harm the very taxpayers they are trying to serve until they address these issues.
Preliminary Administrative Recommendations to the IRS
The National Taxpayer Advocate recommends that the IRS:
1. Provide weekly filing season reports on IRS.gov about the status of return processing timeframes so
taxpayers know what to expect when they file their returns.
2. Improve online resources to provide taxpayers with specific information about the cause of the
taxpayers refund delay, what information the taxpayer needs to provide, and a reasonable estimate
regarding when the IRS expects to issue the refund.
3. Implement electronic amended return processing to eliminate the delays caused by traditional paper
processing.
4. Immediately develop and issue guidance for the processing of Forms 941-X claiming COVID-19
employment tax relief.
5. Create a dedicated team to process Forms 1139 and 1045 within 90 days of filing.
6. Authorize the use of secure email within the campuses for return processing issues, taxpayer questions,
or follow up with taxpayers.
7. Expand current online account offerings to allow taxpayers to upload documents necessary to resolve
any issues associated with their tax returns.
8. Suspend all automated collection notices until the IRS is current on processing original and amended
returns and unprocessed correspondence.
Legislative Recommendations to Congress
The National Taxpayer Advocate recommends that Congress:
1. Sufficiently fund the IRS to allow full staffing of Submission Processing and Accounts Management
functions so the IRS is not forced to continually shift resources among competing priorities.
2. Fully fund the IRS’s information technology modernization needs to allow for expedited processing of
original and amended tax returns.
3. For FY2022, provide TAS with additional funding in line with the overall percentage increase in IRS
funding.
4. If legislation passes and increases the IRS’s enforcement budget by roughly half over currently
appropriated levels, provide a minimum 50 percent increase in TAS’s annual budget over the ten-year
period to ensure TAS has adequate staffing to help address the downstream consequences of increased
enforcement and to identify new systemic problems resulting from the increased enforcement so that
TAS can advocate for solutions.
RESPONSIBLE OFFICIAL
Kenneth Corbin, Commissioner, Wage and Investment Division, and Chief Taxpayer Experience Officer
Most Serious Problem #1: Processing and Refund Delays
Taxpayer Advocate Service46
Most Serious Problems
IRS COMMENTS
The IRS faced unprecedented volumes of inventory and phone calls coupled with extraordinary
challenges in managing work in a pandemic. In addition to these ongoing challenges, there have
been legislative changes that would have increased amended returns and created further backlogs, if
proactive steps had not been taken to adjust accounts and issue refunds directly to taxpayers.
We quickly put in place systems to process and distribute over $800 billion in Economic Impact
Payments (EIPs) since the spring of 2020. The February 12, 2021 opening of the filing season was
slightly later than in previous years. The delayed start gave the IRS time for additional programming
to accommodate tax law changes and a second round of EIPs. This ensured that eligible individuals
and families would receive tax refunds and remaining stimulus tax credits as quickly as possible.
The later start of the filing season did not impact refunds on returns claiming the Earned Income
Tax Credit (EITC) or the Additional Child Tax Credit (ACTC). By law, the IRS cannot issue
these refunds before February 15. Taxpayers were encouraged to e-file their returns for the most
expeditious processing and to check the Wheres My Refund? tool on IRS.gov or the IRS2Go app to
find out their estimated refund date. To ease taxpayer burden, the deadline for individuals to file and
pay their federal income was extended to May 17, 2021.
Even while processing the tax year 2020 returns, we took proactive steps to reduce taxpayer burden
with regard to tax law changes made after the start of the filing season. We systemically analyzed over
14 million 2020 returns to identify and determine eligibility for the unemployment compensation
exclusion for people who already filed returns. We used a phased recovery approach based on return
complexity to automatically adjust taxpayer accounts and allow the exclusion if it was not claimed on
the tax return resulting in millions of refunds without further action by the taxpayers.
The IRS is continually assessing additional ways to reduce paper processing and provide more efficient
service for our customers. The IRS took tremendous steps to reduce inventories of unopened mail,
returns, and correspondence during the last year. Our employees worked day, night, and weekend
shifts, along with overtime, to open mail and process tax returns and taxpayer correspondence in the
order we received them. The IRS is now opening mail within normal timeframes. We rerouted tax
returns and taxpayer correspondence from locations that are behind to locations where more staff is
available. We shifted staffing resources from telephones to inventory when phone demand permitted.
We expanded our digital services by allowing taxpayers to electronically file Form 1040-X, Amended
U.S. Individual Income Tax Return, using commercial tax-filing software.
Our toll-free telephone lines are an important service delivery channel during the filing season and
throughout the year. Demand for telephone services was significantly higher due to the processing
delays, changes in legislation, and multiple rounds of EIPs. Through the end of the fiscal year, we
answered almost 68 million calls through assistor services and automation, almost 4 million more
assistor calls than in the prior year.
The IRS applied an aggressive approach to mitigate the staffing challenges caused by the pandemic.
We had record numbers of employees teleworking to provide continuous service for answering
phones and processing correspondence, including amended returns. The IRS started the hiring
process for the 2021 filing season earlier than normal and continued hiring throughout the summer
and will continue our hiring efforts throughout the year, to the extent funding permits and eligible
prospects accept job offers, to staff up our processing centers to work through our inventory.
Most Serious Problem #1: Processing and Refund Delays
47Annual Report to Congress 2021
Most Serious Problems
This year, we also used contracted telephone assistors to answer general ACTC inquires, deployed
an automated Voice Bot on the EIP telephone line to answer questions, and employed overtime to
cover demand. We are strategically reassigning our work and proactively utilizing technology driven
solutions.
We understand that processing delays can pose a hardship to taxpayers. As we continue to address
our backlog and provide additional options for taxpayers, we are also working to deliver a better
experience during the upcoming 2022 filing season.
TAXPAYER ADVOCATE SERVICE COMMENTS
The IRS’s response continues to ignore the impact and hardship its actions – or in this case lack of
action – are having on taxpayers. While the IRS has faced incredible challenges over the past two
years, that does not excuse the IRS’s failure to address the ongoing processing delays. Taxpayers
continue to suffer as they endure unacceptably long waits for refunds. While the IRS may be in
desperate need of additional money and staffing, it cannot wait for more resources before it develops
plans to address the ongoing backlog. The IRS needs to prioritize its current work, of which
processing returns should be one of its highest priorities. This may involve postponing other lesser
priority work, but the IRS needs to immediately develop and implement a plan to quickly process
this work. As we prepare to enter into another filing season, taxpayers cannot afford to wait for
refunds they should have received months ago, and the IRS cannot afford to keep carrying over
millions of unprocessed returns from year to year.
RECOMMENDATIONS
Administrative Recommendations to the IRS
The National Taxpayer Advocate recommends that the IRS:
1. Provide weekly filing season reports on IRS.gov about the status of return processing
timeframes so taxpayers know what to expect when they file their returns.
2. Improve online resources to provide taxpayers with specific information about the cause of
the taxpayers refund delay, what information the taxpayer needs to provide, and a reasonable
estimate regarding when the IRS expects to issue the refund.
3. Implement electronic amended return processing to eliminate the delays caused by traditional
paper processing.
4. Immediately develop and issue guidance for the processing of Forms 941-X claiming
COVID-19 employment tax relief.
5. Create a dedicated team to process Forms 1139 and 1045 within 90 days of filing.
6. Authorize the use of secure email within the campuses for return processing issues, taxpayer
questions, or follow up with taxpayers.
7. Expand current online account offerings to allow taxpayers to upload documents necessary to
resolve any issues associated with their tax returns.
8. Suspend all automated collection notices until the IRS is current on processing original and
amended returns and unprocessed correspondence.
Most Serious Problem #1: Processing and Refund Delays
Taxpayer Advocate Service48
Most Serious Problems
Endnotes
1
See

Review of the 2021 Filing Season
), https://www.
taxpayeradvocate.irs.gov/wp-content/uploads/2021/06/JRC22_FullReport.pdf
.
 https://www.irs.gov/newsroom/irs-operations-during-covid-
19-mission-critical-functions-continue
business returns which remained unprocessed. IRS, .
3
See

IRS Recruitment, Hiring, and Training
:


,
infra
.
 



 
6
See

Filing Season Delays
:

Season
,
infra
.
7
Id


 



9
See

IRS Funding
:
The IRS Does Not

).
10 
https://www.irs.gov/newsroom/new-mailing-address-for-some-western-states-as-fresno-california-paper-tax-
return-processing-center-closes.
11
CIS data for full CY 2018, 2019, 2020, and 2021 through Nov. 22, 2021. Includes Aug. 2020 through Nov. 30, 2020 receipts when

12
See



13 
14 
https://www.irs.gov/newsroom/irs-provides-guidance-under-the-cares-act-to-taxpayers-with-net-operating-losses.
15
Id
.
16 
17
See

18 
19 https://www.irs.gov/newsroom/irs-operations-during-covid-
19-mission-critical-functions-continue
20
See

21 https://www.irs.gov/newsroom/irs-operations-during-covid-
19-mission-critical-functions-continue

22

receiving the credit amount, he or she reached out to TAS for assistance in early 2021. After TAS sent the OAR in June, the IRS said

Legislative Recommendations to Congress
The National Taxpayer Advocate recommends that Congress:
1. Sufficiently fund the IRS to allow full staffing of Submission Processing and Accounts
Management functions so the IRS is not forced to continually shift resources among
competing priorities.
2. Fully fund the IRS’s information technology modernization needs to allow for expedited
processing of original and amended tax returns.
3. For FY2022, provide TAS with additional funding in line with the overall percentage increase
in IRS funding.
4. If legislation passes and increases the IRS’s enforcement budget by roughly half over currently
appropriated levels, provide a minimum 50 percent increase in TAS’s annual budget over
the ten-year period to ensure TAS has adequate staffing to help address the downstream
consequences of increased enforcement and to identify new systemic problems resulting from
the increased enforcement so that TAS can advocate for solutions.
Most Serious Problem #1: Processing and Refund Delays
49Annual Report to Congress 2021
Most Serious Problems





See
TAS Case Advocacy,
infra
.
23 https://www.irs.gov/newsroom/irs-operations-during-covid-
19-mission-critical-functions-continue
24
See

Transparency and Clarity
:

and Clear Information
,
infra
.
25
See
https://www.irs.gov/refundshttps://
www.irs.gov/filing/wheres-my-amended-returnhttps://www.irs.gov/newsroom/
irs2goapp
26
See
,
e.g
ATIONAL T ALOGhttps://www.taxpayeradvocate.irs.
gov/news/nta-blog-lifecycle-of-a-tax-return/.
27

Average Tax Refund Up 11% In 2021
, Fhttps://www.forbes.com/sites/ashleaebeling/2021/11/01/
.
28


:

,

https://abc11.com/wheres-my-refund-2020-tax-irs-status/11201371/.
29
Id
.
30
See


:
Taxpayers Face Significant Challenges Reaching IRS Representatives

,
infra
.
31 
.
32 
33 
34 
three-digit code that defines the most significant issue, policy, or process within the IRS that underlies the cause of the taxpayer’s
problem).
35

in the top ten. Unpostables and Rejects cases involve errors made when filing returns cause the IRS to have to request additional

detect and prevent non-identity theft refund fraud.
See

36 Unpostable tax returns are commonly caused by problems with the taxpayer’s identification number, name, or both. Reject returns


37
For the period between April through September, TAS cases received from congressional offices increased nearly 345 percent from
FY 2019 to FY 2020.
See TAS Case Advocacy
:


,
infra

38 
the IRS to have to request additional information from the taxpayer before the IRS is able to process the return.
39 

is of the essence, TAS may issue a TAO. The TAO is a powerful statutory tool delegated by the National Taxpayer Advocate to Local


See






40

return (original, amended, or superseding) filed by the taxpayer within 30 days. As of September 30, 2021, the IRS complied


September 30, 2021, the IRS has complied with 34 of the 55 TAOs in an average of 50 days, TAS rescinded five of the TAOs, and 16
remain open.
41
FY 2017 and FY 2021 IRS Snapshot Report.
42
See
,
e.g
ATIONAL
T
 ALOG
43 https://www.irs.gov/newsroom/irs-operations-during-covid-
19-mission-critical-functions-continue
44

updates on IRS.gov.
45 









Most Serious Problem #1: Processing and Refund Delays
Taxpayer Advocate Service50
Most Serious Problems

can assist with reducing the inventory.
46
See

IRS Recruitment, Hiring, and Training
:


,
infra
.
47 
48
Id
.
49 
https://www.irs.gov/credits-deductions/2021-child-
tax-credit-and-advance-child-tax-credit-payments-topic-a-general-information
https://www.irs.gov/forms-pubs/about-schedule-8812-form-1040 (last visited
