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Form 12153 for Akron Ohio: What You Should Know
How and When is a CDP Hearing? You can file by mail (using Form 12153) or in-person. (Form 12153 is filed in the United States Department of the Treasury's (Treasury) Online Collection Program.) · When filing by mail, fill out the same form as you would to file a return, including the information listed under “General Information,” along with any requested information. · When filing in person, submit copies of any documents from which the information specified in “General Information” is to be derived. How to File a CDP Appeal/Hearings · A CDP Hearing is only available to taxpayers who are filing a tax lien or levy case without obtaining a court order. · A CDP Hearing, therefore, usually is not an option for taxpayers who file a tax lien or levy case with a court. · It is important to keep the amount and timing of the tax lien/levy action in question carefully. · See “Form 12163” for tax lien/levy alternatives. · A CDP Hearing may be granted only after a taxpayer obtains from the IRS a copy of the lien/levy action. · The CDP Hearing must be scheduled before a judge as soon as practicable. · At least 30 days before the hearing, a taxpayer must send the IRS notice that he/she is filing a CDP under the terms of the CDP and the relevant statutes and regulations. This notice must be received by the IRS no later than five days before the scheduled hearing date. · After receiving the notice, the IRS will send a copy of the CDP Notice and Petition to the taxpayer. · If no action is taken (or any action other than the filing of the CDP), you will receive the CDP Notice and Petition, along with information about the hearing. · At the hearing, the taxpayer and the IRS will discuss the CDP issue and evidence before any finding of taxpayer liability is made. · At the hearing, if the IRS finds a lien to be valid and the sailors comply with the order to make payments as provided in the order, you may be ordered to pay the balance due or liquidate the lien. · If you are awarded payment for a lien or levy and the order has not been modified, the taxpayer may be required to perform other acts prescribed by law to liquidate the lien / levy.
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