This comprehensive workshop takes participants on a hands-on journey through the entire IRS Offer in Compromise (OIC) process, including how to effectively complete the appropriate financial disclosure package for individuals (Form 433-A).
The program will provide you with skills that will enable you to:
1.  Compute Reasonable Collection Potential (RCP) for OICs in light of the new rules
in May 2012;
2.  Determine acceptable Installment Agreement levels;
3.  Determine whether a taxpayer qualifies for Currently Not Collectible Status;
4.  Advise your clients regarding pre-submission planning for OICs; and
5.  Become knowledgeable regarding the practical considerations.
Typically, this program runs approximately 100-125 minutes in length.
This segment covers how to represent your clients before the IRS, from the first phone call through the resolution of the problem. The program details the steps in a tax controversy, describes tools in dealing with the IRS, provides practical guidance in dealing with the IRS, and discusses alternative resolution scenarios in dealing with collection matters. Handouts include numerous sample letters, such as penalty abatement letters, engagement letters, Examination Appeals, Request for Third Party Contacts, FOIA requests, and filled-in IRS forms (i.e., 2848, 8821, 9423, 12153, 911). The program will also discuss the current status of Streamlined Installment Agreements and Levy Withdrawals.
Typically, this program runs approximately 60-100 minutes in length and the topics can be tailored to the specific audience.
If you are interested in having Mr. Davidoff speak to your firm or organization, please email us at: email@example.com
or call 732-274-1600.