Owe IRS Payroll Tax Problem + IRS Tax Help + Settlements + Payment Plans + Back Payroll Debt Options + Former IRS + New York, Brooklyn, Borough of Queens, Manhattan, Bronx

August 7, 2015
Written by: Jim Magary
Fresh Start Tax

 

We are an affordable full service IRS tax firm that specialize in the resolution of all IRS tax matters. We are specialists for those who owe IRS back payroll taxes, 941 tax debt.

 

Being a former IRS revenue officer and teaching instructor, I worked hundreds upon hundreds of payroll tax cases and I understand the complexities and have immediate resolution options to go over to resolve any IRS tax debt problem.

Each and every case has a viable solution.

If you do not understand the IRS methods, IRS can dictate the way they choose to work your case.

Due to our years of experience with the IRS, we know exactly how to handle IRS and find success in dealing with those who all back payroll tax debt to the Internal Revenue Service.

I can tell you being a former IRS agent & teaching instructor the IRS is very aggressive in collecting back payroll taxes.

When you work with us we will submit an immediate power of attorney so the Internal Revenue Service only deals with us and you will never have to speak to IRS.

We will secure and review the necessary financial statements, the 433A& 433B,  and talk to you about working out a viable solution to protect your business from the Internal Revenue Service.

Taxpayer should beware that IRS will impose a 6672 penalty, or the trust fund penalty for those responsible persons who were authorized to pay the back payroll taxes.

The 6672 penalty: the Internal Revenue Service will determine who was liable to pay the back taxes and they willfully made determinations not to pay IRS  can be held liable for this penalty.

When you call us we will go over the trust fund penalty so you understand how it relates to you.

 

Definition of wilfulness

1. The trust fund recovery penalty is a civil penalty; so the degree of wilfulness in failing to collect or pay over any tax leading to liability for this penalty is not as great as that necessary for criminal proceedings.

wilfulness in the context of the TFRP is defined as intentional, deliberate, voluntary, and knowing, as distinguished from accidental. “wilfulness” is the attitude of a responsible person who with free will or choice either intentionally disregards the law or is plainly indifferent to its requirements. Some factors to consider when determining wilfulness are:

• Whether the responsible person had knowledge of a pattern of noncompliance at the time the delinquencies were accruing;

• Whether the responsible person had received prior IRS notices indicating that employment tax returns have not been filed, or are inaccurate, or that employment taxes have not been paid;

• The actions the responsible party has taken to ensure its Federal employment tax obligations have been met after becoming aware of the tax delinquencies; and

• Whether fraud or deception was used to conceal the nonpayment of tax from detection by the responsible person.

 

Call us today and we will go over every available option to go ahead to keep your business going in to keep IRS out of your back pocket.

 

 

Owe IRS Payroll Tax Problem + IRS Tax Help + Settlements + Payment Plans + Back Payroll Debt Options + Former IRS + New York, Brooklyn, Borough of Queens, Manhattan, Bronx

 

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