Taxpayers with outstanding tax liabilities are often subjected to enforced collection action from the IRS. Enforced collection action will include levies, lien filings, wage garnishments, social security garnishments, and passport revocation or denial. In addition, the IRS contracted with third-party collection agencies to work on collection matters that are no longer in the IRS’s inventory of active cases.
This webinar is offered by a leading tax controversy attorney.
The IRS’s various collection mechanisms, including levies, lien filings, wage garnishments, social security levies and passport revocations or denials.
The taxpayer’s rights to challenge these collection actions.
The taxpayer’s right to request a review of the IRS’s collection action through various Appeals hearings including a Collection Due Process hearing, an Equivalency Hearing, or a Collection Appeals Program hearing.
The procedures to request a lien subordination, release, or withdrawal and when those procedures are appropriate.
The procedures to request and secure a levy or garnishment release.
The United States Tax Court’s jurisdiction to review determinations related to Collection Due Process hearings.
McCarter & English, LLP
Attorney
lsannicandro@mccarter.com
9736392081
Lawrence (“Larry”) Sannicandro is an associate in the Tax, Employee Benefits & Private Clients Practice Group who concentrates his practice on tax controversy and tax planning matters. He represents businesses, estates, trusts, and individuals at all stages of tax controversies, including in audits, before the IRS Office of Appeals, and in litigation before the United States Tax Court, the U.S. Court of Federal Claims, the U.S. District Courts, and the U.S. Courts of Appeals.
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