We may disclose relevant tax and non-tax return information to the Internal Revenue
            Service (IRS) for their civil or criminal investigations concerning violations of
            Federal tax laws, or for general tax administration purposes, when we receive a valid
            request and a routine use in the system of records that contains the relevant information
            authorizes the disclosure. We do not process these requests under the law enforcement
            exception of the Privacy Act; rather, we disclose based on our routine use(s). In
            these instances, the IRS must still submit a valid request to us, as detailed below.
         
         
            
            
               
               We cannot disclose information under the tax administration routine use to the Department
                  of the Treasury’s Office of the Inspector General (IG). In cases involving an IG request,
                  we should process the request as a law enforcement request.
               
               
             
          
         EXAMPLE: The IRS sends in a valid request seeking an individual’s benefit payment data (e.g.,
            benefit amount, financial institution, address, etc.) for investigating tax fraud
            concerning the individual’s benefit payments. The requested benefit information is
            stored in our Master Beneficiary Record (MBR) system of records. There must be an
            established routine use in this system of record allowing us to disclose this data
            to IRS. In this situation, a routine use does exist allowing us to disclose information
            from the MBR to IRS. For more information regarding this routine use, see routine
            use no. 5 in the MBR system of records notice.
         
         1. Valid IRS Requests 
         To be valid, a request from IRS for civil or criminal investigations must:
         
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                  • 
                     be in writing on IRS letterhead; 
 
 
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                     be signed by an official of the IRS central office or a local field office (e.g.,
                        a revenue officer or supervisory or management official);
                      
 
 
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                     clearly state they are requesting the information for a civil or criminal investigation
                        in connection with Federal tax administration, as defined in 26 U.S.C. § 6103(b)(4)
                        or other relevant Federal tax laws. If the request cites to other relevant Federal
                        tax laws other than 26 U.S.C. § 6103(b)(4), IRS must provide the legal citation;
                      
 
 
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                     contain the target(s) of the investigation/number holder’s (NH) first and last name,
                        Social Security Number (SSN), and date of birth; or the first and last name and SSN;
                        or the first and last name along with sufficient identifying information (e.g. place
                        of birth, mother’s maiden name, or father’s first and last name) to enable us to locate
                        the SSN. We will not disclose a NH’s name or any other information if IRS only furnishes
                        a SSN;
                      
 
 
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                     clearly explain why they need the records. The request must clearly show a nexus between
                        the reason they are requesting the information and our legal authority for disclosure;
                        and
                      
 
 
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                     thoroughly explain and specify what information they need, in order for us to accurately
                        search and produce the requested information. We will return the request to IRS for
                        clarification when necessary.  
 
 
2. Procedure for disclosing
               information
               to IRS
         a. When IRS offices request non-tax return information from field offices, refer them
            to the regional Privacy Act Coordinator (PAC). The regional PAC should develop the
            request, but consult with OPD for advice and a final determination on whether to release the non-tax information
            to IRS.
         
         b. IRS should fax all requests for earnings information to the Office of Central Operations
            (OCO) at:
         
         Social Security Administration 
            
            
            
            
            Center for Automation, Security and
            Integrity 
            
            
            
            
            Attn: Security and Integrity Branch - SIPS 
            
            
            
            
            410
            -597-0140
         
         OCO may consult with OPD as necessary concerning the validity of an IRS request for
            earnings information.
         
         
            
            
               
               IRS can retrieve Federal tax information within our systems (e.g., IRS 1099s, W-2s,
                  and W-3s) within the last ten years without contacting us.