Appeals – Our Role in Resolving Offers in Compromise

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DISCLAIMER

ARCHIVED SEMINARS ARE FOR VIEWING PURPOSES ONLY.

THE SEMINAR CONTENT IS NO LONGER CURRENT AND DOES NOT QUALIFY FOR ANY CONTINUING EDUCATION CREDIT.

ARCHIVE DATE: FEBRUARY 2015

The IRS Office of Appeals presented this seminar at the 2011 IRS Nationwide Tax Forum, and the information was correct at the time of recording.

This presentation offers an insider’s tour of the process beginning with the request for Appeals consideration of a rejected offer in compromise and ending with the case closing from Appeals. This presentation focuses on today’s most misunderstood aspects of this type of case and provides tools and strategies you can use now to represent your client effectively through the Appeals process. This session also explores and defines such topics as reasonable collection potential, necessary expenses, dissipated assets, economic hardship as it applies to Effective Tax Administration (ETA) offers, Tax Increase Prevention & Reconciliation Act (TIPRA) statutes, available alternative dispute resolution strategies and more.

To view this archived seminar, click below