Originally posted by bobbieyomama
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OIC with IRS and then filing Chapter 7
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sassiebaz...I did do it myself....and yes it was a lot of work...and took 12 months to finally get accepted...but well worth the fight...tell your friend...do it your self....because you have to gather and provide all of the information to either the IRS OR the person you hire...so may as well submit it themselves!! Good luck!
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HHM...I am wondering..when I file my bankruptcy...do I use the original amount of tax owed $30,000 +/ or the amount of the OIC $6,000 / or the balance owed on the OIC approx $3,500...
and from what I can see...you agree with me that the 240 plus 30 days (tolling) APPLIES from the date the OIC was accepted...
not like biotechsolution is saying...that I must cancel the OIC and then wait the 270 days...
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Word of warning. If you don't wait the 270 days from when you cancel the OIC till you file the taxes won't be dischargeable. Plus the IRS will go after the
entire amount, not the OIC agreed amount. Since you never finished the OIC.
I filed pro se after an attempted OIC for the amount of 224K so I've been through this before.
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The other reason for the tolling after filing for OIC is to allow the IRS time to file a Notice of Lien - if not already done. My understanding is that if you withdraw from the OIC, you have to send the IRS a letter. They use the date of receipt of that letter as the start date for the tolling.► ► ► ► FORMER MORTGAGE ORIGINATOR ◄ ◄ ◄ ◄
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Originally posted by bobbieyomama View Postok...so the oic has a balance that i will still have to pay....in my chapter 7...are they priority tax (that i show still owed) so i can continue to pay the oic after bankruptcy
Tough questions bobbieyomama (btw, I like your name.)
I just wouldn't feel comfortable answering because the information is so important for whatever you decide to do.
Before you file, you need to know for certain - 100%. Making a mistake could be uhhh - a mistake.
Did you try going to the IRS website? Try here: http://www.irs.gov/irm/part5/irm_05-008-010.html
Scroll down to the section that says: Bankruptcy After Offer In Compromise Acceptance. Not a lot there but gives you a start. The IRS rules can be so tricky and confusing.
Best to you.► ► ► ► FORMER MORTGAGE ORIGINATOR ◄ ◄ ◄ ◄
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This may provide some guideance
5.9.4.10.1 (01-14-2011)
Accepted but Not Completed Administrative OICs
The Service's Claim and Incomplete Administrative OICs. When a taxpayer with an accepted but not completed administrative offer in compromise files for bankruptcy, the Service has a claim for the full amount of the underlying tax liability because the OIC has not yet been satisfied. Section V(i) of Form 656, Offer in Compromise, provides the tax being compromised remains a tax liability until the taxpayer meets all the terms and conditions of the offer.
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Curious if anyone knows anything about how time is calculated for overlapping tolling events? In my case, the overlapping events were a timely-filed CDP request and a the filing of a (rejected) OIC.
The IRM 5.1.19.3 is pretty clear; overlapping events do not run consecutively when calculating the collection statute expiration:
If more than one case action suspends the running of the collection statute, and the suspensions overlap, the CSED is viewed as extended only once for the period the suspensions overlap.
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Although I cannot say for "certain" but from a practical stand point, not sure how it could be any different. If two tolling events over lap, you do not add them together, they both simply run during their respective times. They would basically combine, but no compound. For example,
1. File CPD June 2010
2. Filed OIC in Jan 2011
3. OIC rejected in Oct 2011 (this would normally end the tolling period, + 30 days for the BK add on)
4. CDP closed, upholding OIC rejection, Feb 2012, (+ 90 days for the BK add on for CDP's).
Usually, the IRS will keep a CDP open during the pendancy of an OIC so that in the event of OIC rejection, appeals can more quickly resolve the case. But if, in your case, the CPD closed, then the end time would be the end date of the OIC + the BK statutory add on.
The tolling period would be from June 2010 to Feb 2012 plus the applicable BK statutory add-on.
Note, in my example, the OIC tolling would have fully run by the time the CDP closed.
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