5.8.10.3
(11-15-2004)
| |||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
| If… | Then… |
|---|---|
| The priority rights of the United States are disregarded when the funds of the estate are disbursed | An assignee for the benefit of creditors, as well as an executor or administrator of a decedent's estate, may become personally liable. |
| A corporation is the assignor and the tax liability sought to be compromised consists of withholding of Federal Insurance Contribution Act (FICA) taxes, or taxes which the assignor might be required to withhold or collect from others and pay over to the government | Consider the possibility of enforcing the TFRP provisions of the code. |
| If… | Then… |
| There is a probate. | Explain that consideration of the offer will be terminated and that another offer can be submitted once the probate has been concluded. Contact Technical Support and advise of the probate proceeding and the tax liability due. Terminate consideration of the offer. |
| There will be no probate proceeding and the surviving spouse does not want us to continue considering the offer. | Terminate consideration of the joint offer due to the death of the spouse. |
| There will be no probate proceeding, the surviving spouse does want us to continue considering the offer, and the surviving spouse was appointed executor by a will. | Obtain a copy of the will and an amended offer reflecting the spouse as deceased and continue consideration of the joint offer. |
| There is no probate proceeding and the surviving spouse wants the Service to continue consideration the offer, however the spouse was not appointed executor by a will. | Since the surviving spouse does not have rights to compromise the liability of the deceased taxpayer, secure an amended offer removing the deceased spouse's name and continue consideration of an offer for the surviving spouse's obligation only. |
If a
determination that a transferee
investigation should be initiated,
it will not be conducted by the
Offer Investigator. Instead, it will
be conducted by a field Revenue
Officer (RO) by generating an Other
Investigation (OI).
OIs referred
per these instructions should be
considered high risk cases, code
100, and processed accordingly.
| If… | Then… |
|---|---|
| A potential transferee is discovered during an offer investigation | Conduct an investigation to determine if a transferee exists. |
| A transferee liability exits |
1.
Determine the amount the
Service may reasonably
expect to collect from
the transferee. 2. Include a sum substantially equal to the value determined in the calculation of reasonable collection potential (RCP). 3. Attempt to negotiate an acceptable offer amount with the transferee value included in the reasonable collection potential (RCP) calculation. |
| There is a question whether a transferee liability may be established and sustained |
1.
Determine the value of
the transferee based on
the degree of doubt
regarding the transferee
being sustained. 2. Attempt to negotiate an acceptable offer amount including this value in the reasonable collection potential (RCP). Note:Flexibility should be exercised during negotiations if the transferee assessment will not be pursued. |
| While investigating an offer and the Offer Investigator determines that a transferee assessment should be pursued and negotiations have not resulted in an acceptable offer amount |
1. Attempt to secure a withdrawal letter from the taxpayer 2. If the taxpayer does not withdraw the offer, prepare the rejection closing documents and follow procedures for recommending rejection with appeal rights. Include the value of the transferee in the reasonable collection potential (RCP). Prepare an Other Investigation (OI) to be issue to a field revenue officer to investigate the transferee issue. |
In these
cases, the discharge or
subordination investigation will not
be conducted by the Offer
Investigator. Instead, it must be
conducted by the appropriate
Technical Support by generating an
Other Investigation (OI).
OIs referred
per these instructions should be
considered high risk cases, code
100, and processed accordingly.
| If… | Then… |
| The discharge or subordination request is approved. | Advise the taxpayer that proceeds from the discharge or subordination will be applied to the offer, if accepted. If the offer is not accepted, the proceeds will be applied to the tax liability. Before delivering the discharge or subordination, require the taxpayer to execute a Form 3040, Authorization to Apply Offer in Compromise Deposit to Liability. In the signature block have them write the word "irrevocable" . Retain the signed Form 3040 in the offer case file for use in the event the offer is returned, withdrawn or rejected. |
| If… | Then… |
| The taxpayer does not intend to apply the proceeds received from the discharge or subordination to the offer amount | Deny the discharge or subordination request. |
| The taxpayer does intend to apply the proceeds toward the offer amount | Request an investigation of the discharge or subordination from Technical Support and then coordinate with Technical Support to apply the proceeds to the offer amount. |
RRA 98 imposed a limitation for offers subject to the waiver of collection statute. The waiver cannot extend the Collection Statute Expiration Date (CSED) beyond either 12/31/2002, or the original CSED, whichever is later.
The limitation on the waiver of collection statute applies to these offer periods.
| If the offer has a… | and is… | then… |
| Pending date of 1/1/2000 or later | Accepted prior to 12/21/2000 | CSED is extended from pending date (TC 480) until acceptance date (TC 780). |
| Pending date of 1/1/2000 or later | Accepted between 12/21/2000 and 3/8/2002 | CSED is only extended from pending date (TC 480) through 12/20/2000. |
| Pending date of 1/1/2000 or later | Accepted after 3/9/2002 | CSED is extended from pending date (TC 480) through 12/20/2000 and if still pending is also extended from 3/9/02 until date of acceptance (TC 780). |
| Pending date of 1/1/2000 or later | Rejected and taxpayer does not appeal | CSED is extended from the pending date (TC 480) until 30 calendar days after rejection letter is issued (TC 481), excluding any portion of that period which falls between 12/21/2000 and 3/8/2002. |
| Pending date of 1/1/2000 or later | Rejection sustained in appeals | CSED is extended from the pending date (TC 480) until Appeals issues their decision letter (TC 481), excluding any portion of that period which falls between 12/21/2000 and 3/8/2002. |
| Pending date prior to 1/1/2000 | Accepted prior to 1/1/2000 | CSED is extended from the pending date (TC 480) until all terms of the offer are met (TC 780) plus 1 year. This extension cannot extend the CSED beyond 12/31/2002. If the original CSED is beyond 12/31/2002 then it remains the CSED of record. |
| Pending date prior to 1/1/2000 | Accepted after 12/31/1999 but prior to 12/21/2000 | CSED is extended from the pending date (TC 480) through 12/31/99 plus one year, but this extension cannot extend the CSED beyond 12/31/2002. In addition, if the offer is still pending on 1/1/2000, the CSED is also extended from that date until it is accepted (TC 780). |
| Pending date prior to 1/1/2000 | Accepted after 12/20/2000 | CSED is extended from the pending date (TC 480) through 12/31/99 plus one year, but this extension cannot extend the CSED beyond 12/31/2002. In addition, the CSED is extended from 1/1/2000 through 12/20/2000. From 12/21/2000 until 3/8/2002 it is not extended. If the offer is still pending on 3/9/2002 the CSED is also extended from that date until it is accepted (TC 780). |
| Pending date prior to 1/1/2000 | Rejected prior to 1/1/2000 | CSED is extended from the pending date (TC 480) until the rejection date (TC 481) plus 1 year. This extension cannot extend the CSED beyond 12/31/2002. If the original CSED is beyond 12/31/2002 then it remains the CSED of record. |
| Pending date prior to 1/1/2000 | Rejected 1/1/2000 or later | CSED is extended from the pending date (TC 480) until 12/31/1999 plus 1 year. This extension cannot extend the CSED beyond 12/31/2002. In addition CSED is extended from 1/1/2000 until 12/20/2000 or the rejection date (TC 481) whichever is earlier, and from 3/9/2002 until the rejection date (TC 481) plus 30 calendar days. |
| P | Primary |
| S | Secondary |
| B | Both |
Taxpayer Interviews
| a. | Failing to keep proper books and records in a business or profession. |
| b. | No records, poorly kept records, or attempts to falsify or alter records. |
| c. | Destroying books and records without plausible explanation or refusal to make certain records available. |
| d. | Extent of taxpayer's control of sales and receipts and his/her apparent unwillingness to delegate this function to his/her employees. |
| e. | Engaging in illegal activities. |
| f. | Personal living standard and asset acquisition inconsistent with reported income. |
| g. | Indications that valuable assets belonging to the taxpayer are being acquired and held in the name of others. |
| h. | Self-serving statements with no documentary proof. |
| i. | Repeated procrastination on the part of the taxpayer in making and keeping appointments with you. |
| j. | Hasty agreement to adjustments and undue concern about immediate closing of the case may indicate that more thorough examination is needed. |
Verification of Financial Statement
| a. |
Uncooperative attitude
displayed by: • Not providing requested information • Refusal to make certain records available • Not furnishing adequate explanations for discrepancies or questionable items. |
| b. | Trying to conceal a pertinent fact or record. |
| c. | Failing to deposit all receipts to business account. |
| d. | Use of nominees or false names. |
| e. | Unusual depletion of assets shortly before filing the offer. |
| f. | Inflated salaries, payment of bonuses or cash withdrawals by officers, directors, shareholders or other insiders. |
| g. | Transfers of property to insiders, shareholders or relatives shortly before filing the offer. |
| h. | Payoff of loans to directors, officers, shareholders, relatives or other insiders shortly before filing the offer. |
| i. | Complicated corporate structures and relationships. |
| j. | Undervaluing of assets. |
| k. | Overstatement of liabilities. |
The fraud indicators below can fall into any of the above categories:
| a. | Making false, misleading, and inconsistent statements. |
| b. | Using currency instead of banks accounts or making large expenditures in currency. |
| c. | Concealment of bank accounts and other property. |
| If Criminal Investigation… | Then… |
|---|---|
| Rejects the referral | Investigation of the offer may continue. |
| Accepts the referral | No contact will be made with the taxpayer regarding the status of the offer until Criminal Investigation informs the taxpayer of the criminal investigation and/or authorizes the Offer Investigator to contact the taxpayer. |
|