Can The IRS Really Seize My Assets Without Telling Me First?

The Internal Revenue Service (IRS) can utilize its jeopardy levy function (i.e., taking a taxpayer’s assets) to pursue a taxpayer’s assets prior to issuing a jeopardy assessment (i.e., telling a taxpayer how much they owe). In Chief Counsel Advice (CCA) 201830013, the IRS clarified the circumstances in which it would take such drastic steps. In [...]

Marijuana Dispensaries and the Federal Tax Trap

The marijuana industry has experienced a nationwide boom in the last five years. In 2013, the marijuana industry realized approximately $1.5 billion in sales. In 2017, the industry realized approximately $9 billion in sales. Those numbers will, likely, only continue to rise as more and more states continue to legalize recreational marijuana. In spite of [...]

Winning A Tax Battle, But Losing the Tax War

A recent U.S. Tax Court decision in Barker v. Comm’r of Internal Revenue, T.C. Memo. 2018-67 exemplified the notion that a taxpayer could win a significant tax battle, but still lose the tax war. Cecile Barker was a successful aerospace engineer who also operated a music production/promotion company called SoBe. Cecile’s son was among the [...]

Does the Internal Revenue Service’s “willfulness” standard in Trust Fund Recovery Penalty cases include a “reasonable cause” defense?

The recent Sixth Circuit decision in Bibler v. U.S., 2018 WL 1911249, may mark an evolution of the definition of “willfulness” in trust fund recovery penalty cases. For the Internal Revenue Service (IRS) to prevail in its assessment of the trust fund recovery penalty pursuant to Internal Revenue Code (I.R.C.) § 6672, the liable taxpayer [...]

IRS Adopts The In-Person Approach

The Internal Revenue Service (IRS) had an interesting New Year’s resolution for 2018: more in-person meetings for taxpayers who have a local IRS Revenue Officer assigned to their case. For many taxpayers, particularly those who are unrepresented, this means that an IRS Revenue Officer will be coming to your home or place of business. The [...]

The IRS Adds Passport Revocation To Its Collections Arsenal

On January 16, 2018, the Internal Revenue Service (IRS) issued a press release emphasizing that taxpayers who are behind on their taxes should pay what they owe or enter into an Installment Agreement. This warning was issued because the IRS intends to implement new procedures that will put the passports of delinquent taxpayers at risk. [...]

Minnesota Tax Law Attorneys

FOIAs and GDPAs: How Requests for Information Can Help Practitioners Resolve Cases with the IRS or DOR

This is the sixth article in the Freedom Of Information Act Requests (FOIAs) and Government Data Practices Act Requests (GDPAs) series. This series is intended to provide taxpayers and practitioners with answers to the most commonly asked questions relating to the use of FOIAs and GDPAs. The use of FOIAs and GDPAs allow taxpayers and [...]

Minnesota Tax Law Attorneys

FOIAs and GDPAs: How Requests for Information Can Help Practitioners Resolve Cases with the IRS or DOR

This is the fifth article in the Freedom Of Information Act Requests (FOIAs) and Government Data Practices Act Requests (GDPAs) series. This series is intended to provide taxpayers and practitioners with answers to the most commonly asked questions relating to the use of FOIAs and GDPAs. The use of FOIAs and GDPAs allow taxpayers and [...]

FOIAs and GDPAs: How Requests for Information Can Help Practitioners Resolve Cases with the IRS or DOR

This is the fourth article in the Freedom Of Information Act Requests (FOIAs) and Government Data Practices Act Requests (GDPAs) series. This series is intended to provide taxpayers and practitioners with answers to the most commonly asked questions relating to the use of FOIAs and GDPAs. The use of FOIAs and GDPAs allow taxpayers and [...]

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