Topic - 433

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What is the primary purpose of IRS Form 433?
What financial concept drives IRS collection decisions by the IRS?
Why do many Offers in Compromise get denied?
Which version of Form 433 is generally used by IRS Revenue Officers?
When dealing with IRS campus collections, which form aligns best with IRS input screens?
What is the key difference between Form 433-F and Form 433-H?
Why is it recommended to use Form 433-A instead of a 433-F when analyzing a case?
What is the risk of submitting a Form 433 with aggressive or inaccurate information?
Do I need to support all the numbers on the 433?
Why might a practitioner submit more than three months of bank statements?
What does the IRS do with bank deposit information?
How should non-income deposits be handled?
Should I include a copy of the Power-of-Attorney Form 2848, even if it is already on file with the CAF Unit?
Why might empty/inactive LLCs create collection problems?
What pre-submission strategy is recommended regarding unnecessary assets?
What is the individual cash exemption on Form 433?
Is there a cash exemption for businesses?
Why might practitioners recommend spending down business cash before submission?
How are investments valued for collection purposes?
Why are most consulting or service LLCs valued minimally?
What happens if a business has formal annual valuations?
Why are retirement contributions not allowable expenses?
Do you think it is fair for the IRS to require a taxpayer to liquidate assets?
How does the IRS treat retirement accounts the taxpayer can access?
When can the IRS include a 401(k) loan as an asset?
What is the strategy to avoid forced retirement loans?
Why might the IRS reject an Offer-In-Compromise when retirement funds become accessible soon?
Why must virtual currency ownership be explicitly documented?
Does the IRS charge taxpayers criminally for filing a false Form 433?
Why is it recommended that tax professionals make sure the client affirmatively admits or denies if they have virtual currency and/or foreign assets?
Does the IRS require taxpayers to borrow on credit cards?
What must be done before the IRS disregards home equity?
Why does the IRS not ignore equity in real estate when evaluating an Offers in Compromise?
What valuation method does the IRS use for real estate?
How does the IRS arrive at a value for real estate when determining a taxpayer's ability to pay?
If Zillow is overstating the value of the taxpayer's property, how can it be challenged?
Why is home equity treated differently for CNC versus OIC?
What qualifies as a "special circumstance" for an Offer-in-Compromise?
What overarching principle governs successful Form 433 submissions?
United States vs Brimberry, Janice A, 961 F.2d 1286 (1992)
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