Fresh Start Tax LLC 1-866-700-1040 A Christian Professional Tax Firm “A” Rated by the Better Business Bureau
Fresh Start Tax is a professional tax firm whose principles have been practicing since 1982. The firm has over 140 years of direct IRS experience and is licensed and certified in all 50 States. On staff are former IRS Agents with 60 years of direct IRS experience.
There are few Christian Tax Firms who have national tax practices. Fresh Start Tax is one of the finest tax firms in the country.
You will receive Biblical Based tax advice and Biblical based tax principles.
Call us for a free consultation or Skype us today.
Fresh Start Tax is one of the premier tax resolution firms in the country. We deal with all types of civil cases including individuals, businesses, non-profits, partnerships and corporations. We have staff that specialize in every facet of IRS representation. We know all the IRS tax strategies because of our extensive IRS working backgrounds. Some of our many specialties include the following:
Immediate Tax Representation
Offers in Compromise/Settlements
Immediate Release of Bank Garnishments or Wage Levies
IRS Notices/Bill of Intent to Levy or Final Notices
Fresh Start Tax 954-492-0088 1-866-700-1040 “A” Rated by the Better Business Bureau
Fresh Start Tax LLC is one of the finest tax firms in the South Florida area. The principles have been practicing since 1982 in the South Florida area. Besides 140 years of direct tax experience, the firm’s staff has 60 years of direct IRS work experience.
On staff are Board Certified Tax Attorneys, CPA’s, Former IRS Agents and Managers.
If you have received any IRS letters, have a tax lien/levy or tax audit, call us today.
Call us today for a free consultation.
Fresh Start Tax is one of the premier tax resolution firms in the South Florida. We deal with all types of civil cases including individuals, businesses, non-profits, partnerships and corporations. We have staff that specialize in every facet of IRS representation. We know all the IRS tax strategies because of our extensive IRS working backgrounds. Some of our many specialties include the following:
Immediate Tax Representation
Offers in Compromise/Settlements
Immediate Release of Bank Garnishments or Wage Levies
IRS Notices/Bill of Intent to Levy or Final Notices
If you are looking for a good Christian tax firm it could be hard to find. Many tax resolution companies profess to offer Christian Tax Help, but some will do anything just to pick up clients. If you google Christian Tax Relief, 171,000 different offerings will pull up. Trust me, there are not that many Professional Christian Tax Firms that exist today.
Clear indicators to look for:
Check out the firms web site and see if any information exists on their website regarding christian values. You should be clearly able to see on the home page something related to Christianity.
Check out the profiles of the owners. If the owners are not Christian, clearly the firm principles and morals will not align themselves with Christian values.
Talk to one of the owners and ask questions as to where they worship and are they active members in their local church.
When seeking advice from them you should be able to clearly note the moral character of the person you are speaking with.
The advise that is given to you by the firm should follow solid Biblical principles.
With today’s access to professionals all over the United States it is not uncommon to use someone out of State simply because it is so hard to find biblical based tax help.
Three other factors play a very important role in picking or choosing a tax firm:
The experience level,
The costs, and by all means,
Check the Better Business Bureau record just to make sure they walk the walk.
Lastly, call a couple of different firms and the Holy Spirit should lead you accordingly.
Fresh Start Tax 1-866-700-1040 A Professional Tax Resolution Company ” A” Rated BBB
IRS Change in Policy; from IRS IRM
On January 28, 2008, Collection issued interim guidance for offers involving taxpayers who owe trust fund tax. The new procedures were later incorporated into the 9/2008 revision of IRM 5.8.4.13 and provide the following changes for all offers involving trust fund taxes received on or after February 5, 2008:
Only the amount representing the reasonable collection potential (RCP) of the corporation is needed to compromise a corporate trust fund liability — the RCP of the person(s) responsible for the Trust Fund Recovery Penalty (TFRP) is no longer needed as part of the corporate trust fund offer, and
The trust fund portion of the tax liabilities must be paid or the TFRP either assessed or forwarded (by Collection) for assessment before the corporate offer may be evaluated
This is great news!!!!
The changes to procedures for offers involving trust fund tax received by the Service on or after February 5, 2008 have no separate or distinct impact on how Appeals will handle non-CDP offers because Collection will have already addressed all aspects of the offer affected by such changes before rejection.
The manner in which Appeals processes and evaluates offers involving trust fund tax received as part of a CDP case changed significantly under the revised procedures. See IRM 8.22.2.4.7.10 for procedures for corporate trust fund offers received by Appeals as an alternative to collection in a CDP case.
The procedures in the 9/2005 revision of IRM 5.8.4.13.2 remain in effect for all offers (CDP and non-CDP) received by either Collection or Appeals on or before February 4, 2008. The procedures for pre-February 5, 2008 offers state the amount offered to compromise a corporate liability involving trust fund tax must include the amount that may be collected from the corporate entity and all persons responsible for the TFRP up to the amount of the TFRP, plus interest, if assessed.
Regardless of when the offer was received by the Service, it is important for the Settlement Officer considering an OIC appeal involving trust fund tax to be familiar with the premature referral criteria in IRM 8.23.2.3.1 because such cases often arrive in Appeals with various compliance issues, such as late or missing tax deposits, unfiled returns, and/or new liabilities that accrued after the offer was submitted. If the compliance problem arose before the SBSE offer investigator submitted the offer for rejection, the case should be returned to Collection as a premature referral.
While it may seem easier in some instances for the Settlement Officer (SO) to keep the non-CDP OIC case and try to get the taxpayer current with estimated tax payments or withholding requirements, tax deposits, or missed proposed periodic OIC payments, such omissions by the taxpayer, if they occurred before the offer was submitted for rejection by the SBSE offer investigator, should be left to SBSE. Addressing the estimated tax, under withholding, or missed tax deposits or proposed periodic payments that occurred before the offer was submitted for rejection by SBSE would force Appeals to first resolve a compliance issue that had nothing to do with why the offer was rejected. If the compliance problem could not be resolved, then Appeals would have to sustain rejection of the taxpayer’s offer without ever being able to engage in a dialogue with that taxpayer over the substantive issue(s) of dispute. In a non-CDP offer case, this inherently conflicts with Appeals’ central mission and contributes to a perception by some that Appeals is no different than and therefore not independent of SBSE.
If a compliance problem surfaced after the SBSE offer investigator submitted the offer for rejection and while the case was under consideration by Appeals, follow the procedures in IRM 8.23.2.4 regarding taxpayers who do not remain in compliance.
Basically, the IRS is now in a position to accept Offers in Compromises on on-going business
Fresh Start Tax 1-866-700-1040 “A” Rated by the Better Business Bureau 140 years of IRS Tax Experience
If you are having any issue with the IRS call us for a free tax consultation today. We are comprised of Board Certified Tax Attorneys, CPAs, former IRS Agents and Managers.
We have worked in the Florida IRS offices for over 60 years. You will be well satisfied with our quality work.
Fresh Start Tax is one of the premier tax resolution firms in the country. We deal with all types of civil cases including individuals, businesses, non-profits, partnerships and corporations. We have staff that specialize in every facet of IRS representation. We know all the IRS tax strategies because of our extensive IRS working backgrounds. Some of our many specialties include the following:
Immediate Tax Representation
Offers in Compromise/Settlements
Immediate Release of Bank Garnishments or Wage Levies
IRS Notices/Bill of Intent to Levy or Final Notices