Ed Zollars' Tax Update Podcast
Tax matters updated (hopefully) regularly

Sponsor

Leimberg Information Services

Live Presentations

2008 CPE Presentations

Google
Web ezollars.libsyn.com

Player

Categories

Arizona podcast
federal
general
podcasts

Archives

2009
January
February
March
April
May
June

2008
January
February
March
April
May
June
July
August
September
October
November
December

2007
January
February
March
April
May
June
July
August
September
December

2006
January
February
March
April
May
June
July
August
September
October
November
December

2005
July
August
September
October
November
December

November 2009
S M T W T F S
     
1234567
891011121314
15161718192021
22232425262728
2930

Syndication

edzollarstaxupdate@gmail.com - Ed Zollars' Tax Update Podcast - Ed Zollars' Tax Update Podcast

Links

Arizona Society of CPAs

Phoenix Tax Workshop

The Tax Court recently decided a pair of cases related to the innocent spouse provisions of §6015 and time limits on filing for relief.  In the case of Mannella v. Commissioner, 132 T.C. No. 10 the Tax Court held that even if the notice of intent to levy and rights under the innocent spouse provisions were never seen by the taxpayer, the two year period for relief under §6015(b) and (c) that is specifically imposed by statute begin to run.

However, the Court held in this case and the earlier case of Lantz v. Commissioner, 132 T.C. No. 8 that the IRS regulation that imposed a similar two year time limit on equitable relief under §6015(f) was invalid, thus allowing the taxpayers to move forward with a claim for equitable relief.

The materials for this podcast are at http://www.edzollars.com/2009-04-19_6015.pdf .

The podcast is sponsored by Leimberg Information Services, located on the web at http://www.leimbergservices.com .
Direct download: 2009-04-20_6015.mp3
Category: podcasts -- posted at: 5:24 PM
Comments[0]


    Post your comment:

    Name

    E-mail (will not be published)

    website

    Your Comment


    Please do not click submit more than once