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Form 12153 Dayton Ohio: What You Should Know

The hearing process is explained on the Form 12153. When can I request a hearing? Once the collection action is final except for collection default, a taxpayer who wishes to appeal the action must file a Notice of Appeal with the IRS within 12 months of the date of the notice. You can file form 12153 using the online Form 4684 or at one of the following locations: You can also file a motion using Form 4684, which is available from a local IRS office. A motion to modify the decision on the Notice of Demand for Payment will only be granted at another office. How do I request a hearing? To request a hearing or a motion, you must complete the following form. If you are hearing in person you must attend to the hearing and file the form with the IRS. The IRS will send you either a Notice of Hearing or a Notice of Appeal. The Notice of Hearing will inform you of your right to be heard. What are the options the IRS gives? The IRS will inform you of your options based on your status. To appeal the IRS's decision, you can: Appeal the Notice of Demand for Payment appeal to the IRS Office of Appeals. Once you file an appeal, the Department will notify you of any action you need to take in response to the appeal. File a petition with the IRS in Form 8367, filed with the Office of Administrative Law Judges. Complete the Appeal form found on the Appeals and Determinations section of Form 4684. You have up to 90 days from the date the form is transmitted to file your appeal or if the notice of request for an appeal is received to file your filing. File a petition with the IRS in Form 8457, filed with the Office of the General Counsel. Complete the Appeal form found on the Appeals and Determinations section of Form 4684. You have 15 days from the date you receive the Appeals and Determinations form to complete and file the petition with the Department. How long do I have to file? The maximum amount and time frames for appealing collection actions vary by type of action you are appealing. Appeals for delinquencies or returns due or claimed on more than 10 tax years ago are subject to a one-year statute of limitations. Appeals for taxes due and claimed earlier than 5 years ago are subject to an appealable 10-year statute of limitations.

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