Course Category: Innocent Spouse Relief

Showing 13-18 of 18 results
$99

ISR 106: Premature & Untimely Claims

Premature and Untimely Claims. A Requesting Spouse electing Innocent Spouse Relief and/or Separation of Liability Relief or requesting Equitable Relief must be cognizant of the window of opportunity.  Elections and requests can neither be made prematurely nor untimely.  Premature claims are discussed first, followed by a discussion of what constitutes…
178
$99

ISR 107: Appellate Review

Appellate Review. This course discusses a Requesting Spouse’s appellate rights both (a) when the IRS fails to issue a “preliminary” determination within six (6) months of the election for Innocent Spouse Relief and/or Separation of Liability Relief, or request for Equitable Relief, and (b) after an IRS determination denying the…
165
$99

ISR 108: Participation by Non-Requesting Spouse

Non-Requesting Spouse’s Participation. Conflict between the Requesting Spouse and the Non-Requesting Spouse is almost inevitable.  Afterall, the Requesting Spouse is attempting to shift the joint and several tax burden onto the sole shoulders of the Non-Requesting Spouse.  This burden shift request can make the Requesting Spouse unpopular in the eyes of…
167
$99

ISR 109: Levies, Seizure & Court Proceedings Restricted

Levies, Seizure & Court Proceedings Restricted. The IRS’s ability to collect back-taxes is restricted when a Requesting Spouse files a claim with the IRS for Innocent Spouse Relief, Separation of Liability Relief, or Equitable Relief.
20
$99

ISR 110: Installment Agreements

Installment Agreement Affected by Request for Relief. Some taxpayers do not know their tax options and contact the IRS for an installment agreement after receiving notice from the IRS that an audit revealed a tax deficiency due to a spouse’s failure to report income or improper deduction claim.  This could be a…
20
$99

ISR 111: Refund Claims

Refund Claims Made by an Innocent Spouse. The Requesting Spouse seeking relief from joint and several liability must be able to distinguish between civil claims for tax refunds and civil actions for tax refunds.  Civil claims for tax refund are made administratively with the IRS utilizing IRS Form 8857.  Civil…
177
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