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Form 433-B for Frisco Texas: What You Should Know

Form 4334 if the taxpayer is a non-resident alien or Form 4334-C,  Form 4334 for U.S. Trustees —  A federal tax preparer's Form 433-F:  A request to delay a collection audit for a certain period of time  When a taxpayer requests to delay the assessment and collections of a tax debt, it is known as a “forgivable” audit. The IRS may, on the taxpayer's request, delay the assessment (and, if applicable, collection) of a tax debt and may continue to assess/collect the tax debt as in any normal collection case. If the IRS delays an assessment of a tax debt more than one year, then the IRS retains its rights to assess and collect all amounts outstanding during the period of the delay. If the IRS holds a tax debt from the taxpayer or an estate/trust for more than 10 years, then the debt can not be considered for payment after the statute of limitations on its payment is expired. See also IRS Publication 4562. Example 1 — IRS Form 433-F — Request for Delay in Collection The IRS is notified by Freeman LLC that the taxpayer's claim for cancellation of his late fees is dismissed. The taxpayer asks to postpone collection for a period of time and is granted a 60-day extension. He files the petition for extension with Freeman LLP's tax preparation company, which files his Form 433-F. Example 2 — IRS Form 433-F The IRS is notified by the court that Freeman Group Inc. is not eligible to petition for cancellation of fees. The IRS has been notified by USA, on the taxpayer's behalf, that it has collected the taxpayer's debts, so the IRS does not anticipate taking any action. The tax prep companies have filed their petition with the court. The court grants the request by the taxpayer to postpone collections through Freeman LLP's law firm for a period not longer than 60 days. IRS Notice 2014-52: Collection Program for Businesses and Small Businesses Form 433-F may be used to: Request to delay the assessment and collections of a tax debt for a specified period of time Request a reduction in the assessment to a level that will not reduce the tax liability as defined in section 6103(a) This petition does not apply if it is the taxpayer's intention to contest the assessment and collection activity.

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