INNOCENT SPOUSE RELIEF FLOWCHART the threshold con-ditions of Rev. Proc. 2013-34 met? Is the RS...

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NRS - Non-Requesting Spouse IRC - Internal Revenue Code RS - Requesting Spouse LEGEND Brager Tax Law Group, A P.C. 10880 Wilshire Boulevard, Suite 880 Los Angeles, California 90024 Phone: 800.380.8295 310.208.6200 www.bragertaxlaw.com INNOCENT SPOUSE RELIEF FLOWCHART YES YES YES YES YES YES YES YES YES YES YES YES YES YES YES NO NO NO NO NO NO NO NO NO NO NO NO NO NO NO Was there an under- payment of tax on the return? Consider Section 6015(b) or (f ) for relief. On the date of the election, were the parties unmarried, legally separated, or were they maintaining separate households for at least one year? Was the request for relief made within two years from the date of the first collection activity (with respect to the RS) after July 22, 1998? Was the understatement of tax attrib- utable to erroneous items of the NRS? Items attributable to the RS do not qualify for relief. Can the IRS prove that RS did not know and had no reason to know of the understatement at the time the tax return was signed? Was the request for relief made within two years from the date of the first collection activity (with respect to the RS) after July 22, 1998? Can the IRS prove that by a preponderance of the evidence that the RS had actual knowledge of the items giving rise to the deficiency at the time the return was signed? See IRC Section 6015(c)(3)(c). The IRS determined a deficiency. Innocent Spouse status isn’t available. Does IRC Section 66 apply? IRC Section 6015(f ) is the only option. Problem Solved! Innocent Spouse Relief is available! Are the threshold con- ditions of Rev. Proc. 2013-34 met? Is the RS eligible for a streamlined determination? Taking into account all of the facts and circumstances, would it be inequitable to hold the RS liable for the deficiency attributable to the understatement? Taking into account all of the facts and circumstances, would it be inequitable to hold the RS liable? Innocent Spouse Relief isn’t available. Consider collection alternatives. Offer in Compromise. Installment Agreement. Bankruptcy. Does the RS qualify under the multi-factor test of Rev. Proc. 2013-34? START Was a joint tax return filed? Is all or part of the deficiency allocable to the NRS? The information contained in this flowchart is provided for informa- tional purposes only and should not be construed as legal advice on any subject matter. ©2014 Brager Tax Law Group, A P.C.

Transcript of INNOCENT SPOUSE RELIEF FLOWCHART the threshold con-ditions of Rev. Proc. 2013-34 met? Is the RS...

Page 1: INNOCENT SPOUSE RELIEF FLOWCHART the threshold con-ditions of Rev. Proc. 2013-34 met? Is the RS eligible for a streamlined determination? ... Brager Tax Law Flowchart Created Date:

NRS - Non-Requesting Spouse

IRC - Internal Revenue Code

RS - Requesting Spouse

LEGEND

Brager Tax Law Group, A P.C.10880 Wilshire Boulevard, Suite 880

Los Angeles, California 90024

Phone: 800.380.8295

310.208.6200

www.bragertaxlaw.com

INNOCENT SPOUSE RELIEF FLOWCHART

YES

YES

YES YES

YESYES

YES

YES

YES

YES YES

YESYES

YES

YESNO

NO

NO

NO

NO

NO

NO

NO

NO

NO

NO

NO

NO

NO

NO

Was there an under-payment of tax on

the return?

Consider Section

6015(b) or (f ) for relief.

On the date of the election, were the parties unmarried, legally separated,

or were they maintaining separate households for at least one year?

Was the request for relief made within two years from the date of the �rst

collection activity (with respect to the RS) after July 22, 1998?

Was the understatement of tax attrib-utable to erroneous items of the NRS?

Items attributable to the RS do not qualify for relief.

Can the IRS prove that RS did not know and had no reason to know of the understatement at the time the

tax return was signed?

Was the request for relief made within two years from the date of the �rst

collection activity (with respect to the RS) after July 22, 1998?

Can the IRS prove that by a preponderance of the evidence that the RS had actual knowledge of

the items giving rise to the de�ciency at the time the return was signed? See IRC Section 6015(c)(3)(c).

The IRS determineda de�ciency.

Innocent Spouse status isn’tavailable.

Does IRCSection 66

apply?

IRC Section 6015(f ) is the only option.

ProblemSolved!

Innocent Spouse Relief is available!

Are the threshold con-ditions of Rev. Proc.

2013-34 met?

Is the RS eligiblefor a streamlined determination?

Taking into account all of the facts and circumstances, would it be inequitable to hold the RS liable for the de�ciency attributable to the understatement?

Taking into account all of the facts and circumstances,

would it be inequitable to hold the RS liable?

Innocent Spouse Relief isn’t available.

Consider collection

alternatives.

O�er in Compromise.

Installment Agreement.

Bankruptcy.Does the RS qualify under

the multi-factor test of Rev. Proc. 2013-34?

START Was a joint taxreturn �led?

Is all or part of the de�ciency

allocable to the NRS?

The information contained in this �owchart is provided for informa-tional purposes only and should not be construed as legal advice on any subject matter.

©2014 Brager Tax Law Group, A P.C.