|
|
|
Offer In Compromise |
| Review |
| dot |
| com |
|
 |
Offer in
Compromise
Review
How Do
They All Stack Up? |
 |
|
|
The only
site that objectively compares them and
let's you decide. |
|
We line
up all the major OIC players & give you
some great information. |
|
And you
can make up your own mind. |
|
|
|
Home
Back to Index
of Info on OICs |
|
|
IRS Policy
Statement P-5-100
|
| |
| |
 |
|
|
-
Offers will
be accepted:
The Service
will accept
an offer in
compromise
when it is
unlikely
that the tax
liability
can be
collected in
full and the
amount
offered
reasonably
reflects
collection
potential.
An offer in
compromise
is a
legitimate
alternative
to declaring
a case
currently
not
collectible
or to a
protracted
installment
agreement.
The goal is
to achieve
collection
of what is
potentially
collectible
at the
earliest
possible
time and at
the least
cost to the
Government.
-
In cases
where an
offer in
compromise
appears to
be a viable
solution to
a tax
delinquency,
the Service
employee
assigned the
case will
discuss the
compromise
alternative
with the
taxpayer
and, when
necessary,
assist in
preparing
the required
forms. The
taxpayer
will be
responsible
for
initiating
the first
specific
proposal for
compromise.
-
The success
of the
compromise
program will
be assured
only if
taxpayers
make
adequate
compromise
proposals
consistent
with their
ability to
pay and the
Service
makes prompt
and
reasonable
decisions.
Taxpayers
are expected
to provide
reasonable
documentation
to verify
their
ability to
pay. The
ultimate
goal is a
compromise
which is in
the best
interest of
both the
taxpayer and
the Service.
Acceptance
of an
adequate
offer will
also result
in creating
for the
taxpayer an
expectation
of and a
fresh start
toward
compliance
with all
future
filing and
payment
requirements.
|
|
|
|
|
|
|
|
|