Tax Court in Brief | Dawveed v. Comm’r | Restitution-Based Assessment and Collection Due Process

You Received an IRS LT11 Notice (or Letter 1058), Now What?

A Win for Taxpayers | Section 6330(d)(1) is a Nonjurisdictional Deadline

CDP Proceedings | Is the Time Limit in Section 6330(d)(1) a Jurisdictional Requirement for Tax Court Petitions?

The Tax Court Finds CDP Jurisdiction to Hear Challenge to Underlying Liability

The Benefits of Hiring Tax Counsel for a CDP Hearing

Tolling of the Tax Lookback Period for Discharge of Tax Debt in Bankruptcy

A Collection Due Process Hearing