Back, Unfiled, Multiple Payroll Tax Returns – Settle with IRS Back Payroll Taxes – AFFORDABLE

May 29, 2013
Written by: Fresh Start Tax

Fresh Start Tax

 

Problem with Back Payroll Taxes  1-866-700-1040, Former IRS who Know the System, Since 1982. A plus Rated BBB

We have over 206 years professional tax experience and over 60 years of working directly for the Internal Revenue Service in the local, district, and regional tax offices of the Internal Revenue Service.
File and Settle with the IRS.

 
If you are having problems with back payroll taxes and need to file multiple past-due tax returns contact us today so we can make this a quick, simple and affordable process to resolve your payroll tax problems.
We are composed of tax attorneys, tax lawyers, certified public accountants, and former IRS agents, managers and tax instructors.
 
 

The IRS view of Unfiled, Multiple Payroll Tax Problems

 
As a former IRS agent, the federal government puts payroll taxes as a high priority on their list of targets.
The reason is simple, payroll taxes are not a tax they are in fact monies are held in trust for the federal government.
When a case is in the field , the IRS Service centers send out what are known as FTD alerts those are corporations in the area we the IRS offices are located that have not filed their current federal tax deposits. The local IRS offices will make sure payroll tax cases are worked well before individual tax cases.
 

IRS can hold individuals responsible for the failure to pay back payroll taxes (unfiled, multiple payroll tax returns )

 
The IRS has a 6672 penalty which is imposed on persons or individuals who have not filed and paid back payroll taxes. IRS has the right to assess, collect and sees those assets belonging to those parties were responsible to collect the money and turn it over to the Internal Revenue Service. If you have not paid back payroll taxes and your signature on the bank account of a particular company or corporation you may be held responsible to pay these back taxes. You should contact us today for further details.
 

Who Can Be Responsible for the Trust Fund Taxes, code section 6672

 
 
The trust fund recovery penalty may be assessed against any person who:
 

  • Is responsible for collecting or paying withheld income and employment taxes, or for paying collected excise taxes; and
  • Willfully fails to collect or pay them

 
 
A responsible person is a person or group of people who has the duty to perform and the power to direct the collecting, accounting, and paying of trust fund taxes. This person may be or had some of the following powers:
 
 

  • An officer or an employee of a corporation;
  • A member or employee of a partnership;
  • A corporate director or shareholder or member;
  • A member of a board of trustees of a nonprofit organization, or anyone deemed to be responsible;
  • Another person with authority and control over funds to direct their disbursement.

 
 
For wilfulness to exist, the responsible person:
 
 

  • Must have been, or should have been, aware of the outstanding taxes; and
  • Either intentionally disregarded the law or was plainly indifferent to its requirements (no fraudulent intent or bad motive is required).

 
 

If you do not file , IRS can prepare these tax returns under 6020 B of the Internal Revenue Code

(a) Preparation of return by Secretary
If any person shall fail to make a return required by this title or by regulations prescribed thereunder, but shall consent to disclose all information necessary for the preparation thereof, then, and in that case, the Secretary may prepare such return, which, being signed by such person, may be received by the Secretary as the return of such person.
(b) Execution of return by Secretary
(1) Authority of Secretary to execute return
If any person fails to make any return required by any internal revenue law or regulation made thereunder at the time prescribed therefore, or makes, willfully or otherwise, a false or fraudulent return, the Secretary shall make such return from his own knowledge and from such information as he can obtain through testimony or otherwise.
(2) Status of returns
Any return so made and subscribed by the Secretary shall be prima facie good and sufficient for all legal purposes.
 

If you have unfiled or multiple back to payroll tax returns a need to settle with the Internal Revenue Service contact us today.

We are the affordable tax professionals.

 
 
 

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