Offer Appeal – For Killer IRS Offer In Compromise
Reasons Offers Are Rejected, So File An Offer Appeal!
Did the offer in compromise division reject your offer? Did they lose it on grounds that you believe are unfair? Was the offer rejection based on not providing receipts?
Offer Appeal – OIC Help
Most of the time an offer can be re-filed. This corrects a misunderstanding concerning an incorrect rejection by the IRS offer in compromise division.
When the offer division refuses to accept your receipts or evaluation of assets, etc., then an appeal may be necessary. You have to remember that IRS considers an offer a “favor” to taxpayers, not an “entitlement”. Convincing the offer in compromise appeal officer of your way of thinking won’t be easy. You have 30 days from the date of the official rejection letter to file an appeal.
IRS Request For An Offer In Compromise Appeal
Offer Appeal Form 13711
File this form or a separate letter requesting your appeal. I have had mixed, but mostly positive, experiences with offer appeals. I’ve found that it is best to resolve issues as they come up, so appeals are unnecessary. Different areas have different rules. I’ve found it hard in Houston to appeal non valuation (of assets) issues. In New York they seem to except non valuation (of assets) issues for appeal, and are willing to sway the offer division to their way of thinking.
For more information see IRS Appeals.
- If you are considering hiring us, call Joe Mastriano, CPA 713-774-4467.
- Think your IRS matter is handled? Think again!
- For your analysis, click here to email me.