IRS OFFER IN COMPROMISE MAY BE THE KEY TO BEING DEBT FREE

An offer in compromise is an agreement between a taxpayer and the IRS that settles the taxpayer’s tax liabilities for less than the full amount owed.

Like any creditor, the IRS prefers a partial payment to no payment at all.  The IRS’s goal is to achieve collection of what is potentially collectible at the earliest possible time and at the least cost.  Thus, in certain circumstances, the IRS is sometimes willing to settle a tax liability for less than the full amount.   The IRS may accept an offer in compromise if any of the following circumstances exist:

One.  Doubt as to Collectability.

If the IRS finds that it is unlikely you could ever pay the full amount of the tax you owe, even through monthly installment payments, within the remainder of the statutory period for collection, the IRS may consider an offer in compromise.

Two.  Doubt as to Liability. 

If the IRS finds that a legitimate doubt exists that the assessed tax liability is correct, the IRS may consider an offer in compromise.  Possible reasons that may raise doubt as to liability include the examining IRS agent’s mistake in interpreting the law or the agent’s failure to consider your evidence.

Three.  Economic Hardship or Unfair/Inequitable Circumstances.

If a taxpayer is able to demonstrate that the collection of the tax would create an economic hardship for the taxpayer, the IRS may consider an offer in compromise.  Some examples may include where a taxpayer is out of work due to health problems or where the sale of assets to pay the tax would leave the taxpayer without enough money to meet basic living expenses.  Additionally, if a compelling public policy or equity considerations exist, and due to the exceptional circumstances IRS’s collection of the full liability would undermine public confidence that the tax laws are being fairly and equitably administered, IRS may consider an offer in compromise.  Exceptional circumstances for this purpose might include situations where a taxpayer relies on erroneous advice from the IRS.

A streamlined offer-in-compromise program is available for taxpayers with annual incomes up to $100,000 and a tax liability of less than $50,000.

Application and Payment Options.

The taxpayer starts the settlement process by making an offer in compromise on IRS Form 656.  If the offer is grounded on any reason other than doubt as to liability, financial information must be submitted along with the offer.  Also except where the offer is based only on doubt as to liability, the taxpayer must agree to comply with all tax laws relating to filing returns and paying taxes for five years or until the offered amount is paid in full, whichever period is longer.  If these requirements are not met, the compromise terminates and the IRS can seek collection of the entire original liability amount.

There are two payment options available under the offer in compromise program:

One.  Down Payment and Installments upon Acceptance of Offer.

A taxpayer may pay 20% of the offered amount when the offer is submitted, with the balance to be paid in five or fewer installments after the IRS accepts the taxpayer’s offer.

Two.  Regular Payments While Offer is Considered. 

A taxpayer may make partial installment payments to the IRS while the offer is being considered by the IRS, with the initial payment made at the time the offer is submitted.

If you would like to discuss whether submitting an offer in compromise is a viable option for you, please contact us.

Muiños & Morales

WHAT TAX DEBT RELIEF SOLUTIONS ARE AVAILABLE TO YOU

Settlement of Tax Liabilities

Paying your tax debt immediately is usually the best option.  Full payment of your tax liability will avoid additional penalties and eliminate the interest that accrues on your tax debt.  Wherever possible, find sources of financing other than the IRS to pay your tax debt in full – it will usually be the less expensive option.

Nonetheless, the IRS recognizes that sometimes taxpayers are unable to pay all of the tax they owe immediately.   If you are unable to pay part or all of your taxes, you may be able to negotiate payment arrangements with the IRS.

Extension of Time to Pay.

You may be eligible for a short extension of time to pay of up to 120 days.  If you believe you will be able to pay your taxes in full within the extended timeframe, this may be the best option for you.

Installment Agreement. 

If you are unable pay your tax debt in full within 120 days, an installment agreement may be a reasonable payment option.  Installment agreements allow for the full payment of the tax debt in smaller amounts during a period of time.

Offer in Compromise.

Some taxpayers are able to settle their tax bill for less than the amount they owe by submitting an offer in compromise.  However, the criteria for accepting an offer are strict and the IRS will consider your unique set of facts and circumstances including your ability to pay, your income, your expenses and your asset equity.  Don’t be conned into going with some scam artist that promises to settle your tax bill for “pennies on the dollar” by applying for an offer in compromise.  If you don’t meet the qualifications, they are just duping you out of your money.  Educate yourself on the requirements and do your due diligence on any tax professional you’re considering hiring.

Delaying Collection. 

If you do not have the financial resources to pay your tax liabilities in full or in part, an installment agreement or an offer in compromise may not be reasonable.  If this is the case, you may be able to work with the IRS to obtain a determination that places you in a “non-collectible status.”  It may be possible to defer payment of tax liabilities for an extended period of time based on your unique financial situation.  All collection actions will then cease, and you will not be pressured to pay your tax bill at this time.

We will further discuss Installment Agreements and Offers in Compromise in a future blog post.  If you would like to discuss your tax debt relief options with us, please contact us.

Muiños & Morales

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