If you need to hire professional tax help to appeal in IRS tax audit please feel free to contact our office for initial tax consultation and you can speak to a former IRS South Florida appeals agent who has over 25 years of direct IRS experience in the local IRS appeals office.
Being former IRS agents, managers and IRS Appeals Agents, we know all the systems, all the protocols and all the hazards of litigation there were involved to settle your case.
You can contact us for a free initial consultation.
The IRS Appeals Process
Before you prepare a request for a IRS Tax Audit Appeals, you will need to prepare a request for Appeals and mail it to the office that sent you the decision letter.Your appeals request must be filled out accurately.
Small Case Request for a IRS Tax Audit Appeals
You prepare a small case request instead of a written protest if the total amount for any one tax period is $25,000 or less.
1. Send a letter requesting Appeals consideration.
2. Indicate the changes you do not agree with and the reason you don’t agree. Be as specific as you can.
For specific guidance in preparing a small case request/protest, refer to Form 12203, Request for Appeals Review or call our office.
Formal Written Protest for a IRS Audit Appeal
Prepare a formal written protest for all of the following situations:
- If the total amount for any one tax period is greater than $25,000..
- Employee plan and exempt organization cases without regard to the dollar amount at issue.
- Partnership and S corporation cases without regard to the dollar amount at issue.
To prepare a formal written request for Appeals you must:
- Include your name, address, social security number, and daytime telephone number.
- Include a statement that you want to appeal the IRS findings to the Appeals office.
- Include a copy of the letter showing the proposed changes and findings you don’t agree with (or the date and symbols from the letter).
- Indicate the tax periods or years involved.
- List all the changes you do not agree with and why you don’t agree.
- State the facts supporting your position on any issue that you do not agree with.
- Cite the law or authority, if any, on which you are relying.
- Sign the written protest under the penalties of perjury.You must sign this form or your appeals will be rejected.
On staff at Fresh Start Tax LLC Francis A. Andreacchi, Former IRS Revenue Agent, Appeal Agent
Former IRS Revenue Agent, Appeals Officer, Federal Tax Mediator, Gallatin Award form the U.S. Department of the Treasury.
With 35 years of employment with the Internal Revenue Service, Mr. Andreacchi has a vast amount of knowledge and experience. In 1974, he started as an Office Auditor in the Office Audit Division where he examined individual tax returns.
In 1977, he was promoted to Revenue Agent in the Field Audit Division. As a Revenue Agent, he examined high income individuals, large corporations, partnerships and trusts. In the Tax Shelter Audit Program, he specialized in the examination of complex financial transactions.
In 1982, Francis was promoted to Appeals Officer in the Appeals Division where he spent the last 35 years of his career with the IRS. As an Appeals Officer, he conducted conferences to settle cases in which taxpayers have appealed Internal Revenue Service determinations on their tax case or filed a petition in U.S. Tax Court.
Frank had the authority to recommend the final disposition of the case from the government’s perspective and to prepare the final settlement.
As an Appeals Officer, he was assigned various income tax cases involving individuals, trusts, partnerships and corporations from the Examination Division.
These tax cases involved omitted income, disallowed expenses and various penalties as substantial understatement of tax, fraud, failure to file and failure to pay. In conjunction with these cases, he had to consider innocent spouse issues raised by one of the spouses.
Another type of collection case assigned was the application of the Trust Fund Recovery Penalty on individuals in which the corporation did not pay the payroll taxes.
In these cases, Francis was required to make a determination whether the taxpayer was the responsible person who willfully failed to pay the employment taxes and the relative litigating hazards of the taxpayer and the Internal Revenue Service.
His span of case assignment from the Collection Division included Collection Due Process for lien and levy actions.
In these cases, he had to consider whether these enforcement actions were proper within the facts and circumstances of the case.
Francis had to consider all other issues raised by the taxpayer on his unpaid tax liability, such as whether the liability was correct and whether any penalties should be abatement.
Francis also had to consider various collection alternatives raised by the taxpayer such as installment agreements, offers in compromise and currently not collectible status.
Francis is also an IRS federal trained mediator.
As an IRS mediator, his responsibility was to attempt to bring the Internal Revenue Service and the taxpayer to an agreement on their dispute through a conference. He was one of the first mediators to successfully mediate an offer in compromise between the IRS and the taxpayer.
Upon his retirement from the IRS, the United States Department of the Treasury awarded Francis the Albert Gallatin Award for his contribution to the public service.
Contact us for free initial tax consultation and you can speak directly to tax attorneys, certified public accountants, or former IRS appeals agents.
We have been practicing in South Florida since 1982 and we have over 60 years of combined IRS experience in the local, district, and regional tax offices of the IRS.
How to Appeal IRS Tax Audit – Hire Former Appeals Agents – Miami, Ft.Lauderdale, Boca, Palm Beaches