Collection Due Process (CDP) Flashcards

1
Q

What form must be filed to request a CDP hearing, and what is the deadline?

A

CDP is a hearing with the IRS Office of Appeals to challenge the IRS’s collection actions. It’s authorized under IRC § 6320 for lien notices and IRC § 6330 for levy notices.

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2
Q

What are the taxpayer’s rights during a CDP hearing, as outlined in IRC § 6330(c)?

A

Form 12153, Request for a Collection Due Process or Equivalent Hearing, must be filed within 30 days of receiving a lien or levy notice.

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3
Q

What are the potential outcomes of a CDP hearing, as described in IRC § 6330(d)?

A

The taxpayer has the right to present issues, propose alternatives, have the issues considered by an independent Appeals officer, and seek judicial review of the determination.

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4
Q

What is an Equivalent Hearing, and how does it differ from a CDP hearing?

A

Outcomes can include the withdrawal, modification, or affirmation of the proposed levy or filed notice of federal tax lien. A taxpayer can also appeal the determination in Tax Court.

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5
Q

How is the CDP hearing related to the suspension of the Collection Statute Expiration Date (CSED)?

A

An Equivalent Hearing is similar to a CDP hearing but can be requested within one year after the 30-day CDP deadline. The decision is not subject to judicial review, unlike the CDP hearing (IRC § 6330(d)).

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6
Q

What is the significance of IRC § 6330(g) in dealing with frivolous or delaying arguments by the taxpayer?

A

The CSED is suspended during a CDP hearing and remains suspended until the determination becomes final, plus an additional 90 days (IRC § 6330(e)(1)).

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7
Q

What Revenue Ruling provides guidance on the conduct of CDP hearings?

A

IRC § 6330(g) allows the IRS to disregard frivolous or delaying arguments by the taxpayer, thus preventing the misuse of the CDP process to merely delay collection.

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8
Q

How does IRC § 6330(c)(4) limit the taxpayer’s ability to raise issues during a CDP hearing?

A

Revenue Ruling 2006-46 outlines procedures and expectations for conducting a CDP hearing, ensuring that the taxpayer’s rights are upheld.

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9
Q

How does IRC § 6330(c)(4) limit the taxpayer’s ability to raise issues during a CDP hearing? IRC § 6330(c)(4) prohibits the taxpayer from raising an issue that was already considered in any previous administrative or judicial proceeding if the taxpayer meaningfully participated in that prior proceeding.

A

IRC § 6330(c)(4) prohibits the taxpayer from raising an issue that was already considered in any previous administrative or judicial proceeding if the taxpayer meaningfully participated in that prior proceeding.

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