Taxpayers with outstanding tax liabilities are often subjected to enforced collection action from the IRS. In 2017, 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.
"A huge amount of useful information - maybe 2 hours worth jammed into 90 minutes."
"Amazing presenter. Wonderful subject matter and how knowledgeable he was."
"Great info for all tax professionals who have to face the IRS. Extremely knowledgeable presenter! Excellent!"
"Awesomely helpful information provided today. Looks like you had enough material for 2 hrs. Thanks for the informative handout."
"Excellent webinar - very knowledgeable presenter that moved at just the right speed with no hesitations, and not too quickly."
Lawrence A. Sannicandro is a tax controversy and litigation attorney with Agostino & Associates, P.C., where he counsels businesses and individuals at all stages of tax controversies. He regularly represents clients in audits, before the IRS Office of Appeals, and in litigation before the United States Courts of Appeals, the United States Tax Court, the United States Court of Federal Claims, the United States District Courts. Prior to entering private practice, Mr. Sannicandro served as a law clerk for the United States Tax Court, and before that, as an attorney for the IRS. He earned his LL.M. in Taxation from Georgetown University Law Center, J.D. from the University of Florida Levin College of Law, and M.B.A. in Finance from Binghamton University. He is a frequent author on tax practice and procedure, and is a contributing author to David Laro, Shannon P. Pratt & Michael R. Devitt, Qualified Appraiser, Qualified Appraisal: Practice, Procedure, Legal Analysis, and Theory.
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CPAwebengage, Inc. (Sponsor Id#: HURS9) has entered into an agreement with the Internal Revenue Service, to meet the requirements of 31 Code of Federal Regulations, section 10.6(g), covering maintenance of attendance records, retention of program outlines, qualifications of instructors, and length of class hours. This agreement does not constitute an endorsement by the IRS as to the quality of the program or its contribution to the professional competence of the enrolled individual. Credit earned by attendees with a PTIN will be reported directly to the IRS as required of all providers. To ensure your CPE hours are reported, update your profile in My Account to include your PTIN number. Please note: IRS CE is only mandatory for EAs and ERPAs. For all other tax return preparers, CE is voluntary. <br/><br/> <strong>CPAwebengage Inc. 1857. W 34th Ave, Denver, CO 80211</strong>