Affordable former IRS agents and managers, since 1982, experts and specialists in IRS trust fund matters. 6672 Penalty
As a former IRS agent and teaching instructor I filled out hundreds and hundreds of IRS form 2751 and the accompanying letter 1153.
You have 60 days to act upon this notice. do not lose your appellate right during this period of time.
The IRS form 2751 will let you know what the proposed amount of a trust fund assessment will be and the form 1153 will be the letter that explains that IRS intends to follow-up with an assessment.
It is critical during this period of time that you file for an appeal and not lose your rights under the IRS code section.
The process is very simple.
You simply fill out an appeals letter and send it in certified to IRS, wait for the appeals division from the Internal Revenue Service to contact you to have a meeting with the appeals division to prove your innocence or even partial innocence.
When you call us we will review the process with you so you have a good understanding of what will take place next.
What is the IRS letter 1153?
IRS Letter 1153 – Trust Funds Recovery Penalty Letter.
This letter explains that the IRS’s efforts to collect the federal employment or excise taxes due from the business named on the letter have not resulted in full payment of the liability.
Therefore, the IRS proposes to assess a penalty against you.
If you agree with this penalty for each tax period shown, you are asked to sign Part 1 of the enclosed Form 2751 and return it to the person/office that sent you the letter.
If you do not agree you can submit a request for appeal to the office/individual that sent you the letter.
The letter contains information and lists IRS publications on how to file an appeal/protest. You need to file your protest within 60 days from the date of the letter in order to appeal this decision with the Office of Appeals.
Call us today for a free initial tax consultation and we can walk you through the IRS process of the trust fund recovery penalty.
It is important to know what this trust fund recovery penalty means, whether you are truly a responsible person as a law applies to code section 6672 and more importantly not to lose your appellate right during this period of time.
The IRS may set up several persons responsible for trust fund penalties and many times they loosely make applications of responsible persons based on faulty records.
Now is your time to appeal and now is your time for free initial tax consultation to learn the process.
IRS Form 2751, 1153 + Trust Fund Tax Help + Former IRS Collections Revenue Officer