Academic journal article Journal of Accountancy

IRS Relents on Two-Year Limit on Innocent Spouse Equitable Relief

Academic journal article Journal of Accountancy

IRS Relents on Two-Year Limit on Innocent Spouse Equitable Relief

Article excerpt

After winning appeals in three federal circuit courts of its two-year limit for requesting equitable innocent spouse relief, the IRS said on July 25 it will no longer observe that deadline.

In Notice 2011-70, the IRS said it will now consider taxpayer requests for equitable relief from joint and several liability under IRC [section] 6015(f) at any time if the limitation period for collection of taxes under section 6502 remains open for the tax years at issue (generally, 10 years after an assessment). If the taxpayer is seeking a refund as part of the request, the limitation period on credits or refunds under section 6511 governs (generally, three years).

In a number of cases, taxpayers have been denied equitable innocent spouse relief solely because the request was not timely The Tax Court has declared the two-year limit, imposed by Treas. Reg. [section] 1.6015-5 (b) (1), invalid, but the Seventh, Third and, most recently, the Fourth Circuit Courts of Appeals have overruled the Tax Court and upheld the IRS' authority to impose the two-year limit (in, respectively, Lantz v. Commissioner, 607 F.3d 479; Mannella v Commissioner, 631 F.3d 115; and Jones v. Commissioner, 642 F.3d 459). In April 2011, members of Congress wrote IRS Commissioner Doug Shulman to urge the Service to revise the regulation.

The IRS said it will do so. In the interim, until the regulations are revised and the limit is formally removed, the IRS provided transitional rules for requesting relief or resolving cases currently in litigation.

Requests pending with the IRS. For requests already submitted (normally, by filing Form 8857, Request for Innocent Spouse Relief) but not yet ruled upon by the Service, taxpayers should not reapply The IRS will consider the request even if it was submitted more than two years after the first collection activity was undertaken, if it is within the other applicable limitation periods noted. …

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