IRC Action Authorization 7401 – Killer Discussion
When subject to collection action, some taxpayers may invoke contentious claims such as the Secretary has not authorized an action for the collection of taxes and penalties or the Attorney General has not directed an action be commenced for the collection of taxes and penalties.An alleged misinterpretation of the law has occurred. For those who are trying to use these claims against paying taxes, the IRS lays out Section 7401 and offer legal explanations for these false arguments.