TAX COURT LITIGATION

How Do I Resolve a Tax Dispute With the IRS?

When a taxpayer has a dispute with the IRS regarding tax, he or she has a choice of three judicial forums in which to litigate the tax controversy:

  1. The United States Tax Court;
  2. The United States District Court; or
  3. The United States Court of Federal Claims.

The taxpayer may challenge a proposed deficiency by filing a petition in Tax Court without first paying the tax. In the alternative, the taxpayer may pay the full amount of the assessed tax deficiency (or part of it in cases involving divisible taxes, such as payroll taxes or some preparer penalties), file a claim for refund and then file suit in either the United States District Court or the United States Court of Federal Claims.

See “Back Taxes? Look Into the IRS Office of Appeals.”

How Do I Know In Which Court I Should Litigate My Case?

To decide which court is the best option for you, the taxpayer must consider the controlling legal precedents in each of the forums as well as the procedural differences that exist. One of the most important factors is the ability of the taxpayer to pay the assessed deficiency before filing suit. Some other factors to consider are that a Tax Court case will not be decided by a jury but will be decided by a judge. In addition, the IRS could assert additional deficiencies after a Tax Court petition is filed in the Tax Court, even if the statute of limitations on assessment has expired. The tax attorneys at PEARSON BUTLER Law can guide you through the maze of how and where to best resolve your tax dispute.

When Is It a Good Idea to Go to U.S. Tax Court and What Is the Process?

Have you received a Notice of Deficiency from the IRS? If so, you may need representation in the United States Tax Court.

The United States Tax Court is the court that deals with nearly all federal tax cases. The Tax Court hears cases in Salt Lake City only two to three times each year. If you are considering Tax Court as an option, you should be represented by someone admitted to practice before the Tax Court. The IRS is represented in Tax Court by attorneys from the IRS Office of Chief Counsel.

To dispute or seek relief from an IRS action against you, you must file a petition with the Tax Court, usually within 90 days of when the IRS mailed the notice of deficiency. Because a petition is required for the Tax Court to have jurisdiction, a case will be dismissed if you were sent a valid notice of deficiency but filed your petition late. The petition must also comply with specific IRS guidelines.

Can I Settle My Tax Dispute Without Going to Court?

Many tax disputes can be settled before the case reaches actual litigation in Tax Court through negotiation by your tax attorney. The goal in each case is to show the IRS representative that a settlement offer makes sense for both you (the taxpayer) and the government. Negotiation and settlement through your tax attorney is often preferred by taxpayers because of it is cost-effective.

In addition to deficiency cases stemming from an audit of a tax return, the Tax Court hears Innocent Spouse claims, disputes over Lien and Levy Actions, determination of an organization’s tax-exempt status, and other matters.

Why Use PEARSON BUTLER Law for Tax Court Litigation?

PEARSON BUTLER Law offers a variety of services related to IRS and state tax matters, including the following:

Contact a Tax Court Litigation Attorney

The tax attorneys at Pearson Butler are experienced in a variety of Tax Court matters and can help you determine the best course of action in your situation. Call us today for a free consultation at (801) 495-4104.