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Irs publication 5 Form: What You Should Know

IRS Publication 6 on IRS Appeals Process — ASB Revenue Solutions IRS Publication 6 addresses topics you have about appeals and includes information you would need to keep in mind when appealing decisions. You can use this publication to make a protest if you disagree with all of your taxpayer identification number (TIN) information or the amount of your refund.  IRS Notice 2009-49 on Notice of Assessment — As of 10-26-2009, a new policy has been established regarding Notice of Assessment (NOA) and Appeals to the Tax Court. The procedure for a NOA appeal is not very different from prior notice procedures. But, there are some important differences. NOA Appeals are the only appeal that can be initiated from within the IRS to the United States Tax Court. The appeal process also has a new level of review, and the IRS will not be able to offer a hearing for the appeal. This is the main reason why the appeal options have been reduced to two, Tax Court and NOA. Also, the Appeals Unit is no longer accepting NOA appeals. However, you can still write to the Appeals Unit about the amount of your refund due. IRS Publication 6-4, Appeals in Cases Where the IRS Does Not Have A Bill Of Rights — As of 10-26-2009, a new policy has been established regarding Appeals in cases where the IRS does not have a Bill Of Rights. The procedure for a NOA appeal is not very different from prior notice procedures. But, there are some important differences. NOA Appeals are the only appeal that can be initiated from within the IRS to the United States Tax Court. The appeal process also has a new level of review, and the IRS will not be able to offer a hearing for the appeal. This is the main reason why the appeal options have been reduced to two, Tax Court and NOA. Also, the Appeals Unit is no longer accepting NOA appeals. IRS Publication 7-17, Taxpayer's Rights — As of 10-26-2009, a new policy has been established regarding Taxpayer's Rights. The procedure for Taxpayer's Rights appeals is not very different from prior notice procedures. There are some important differences. Taxpayer's Rights are the only appeal that can be initiated from within the IRS to the United States Tax Court.

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