Payroll Tax liability
Thank you all for the great information... It's never just that easy. While the IRS claim(s) may no longer be enforceable, we may need to deal with
the state issues in a plan or otherwise, due to the longer statute of
limitations.
Very truly yours,
Shai Oved
The Law Offices of Shai Oved
7445 Topanga Cyn. Blvd., Suite 220
Canoga Park, California 91303
Tel: _(818) 992-6588_ (tel:(818)%20992-6588)
Fax: _(818) 992-6511_ (tel:(818)%20992-6511)
Email: ssoesq@aol.com _www.shaioved.com_ (http://www.shaioved.com/)
________________
The information contained in this email is intended only for the
individual or entity named above and may contain attorney privileged and
confidential information. If the reader of this message is not the intended
recipient, you are hereby notified that any dissemination, distribution, or copy of
this communication is strictly prohibited. If you received this
communication in error, please immediately notify us by the telephone number above
and return any hard copies to us via the postal service.. The Law Offices of
Shai Oved is a debt relief agency which helps people file for bankruptcy
under the Bankruptcy Code. Shai Oved is a Certified Bankruptcy Law Specialist
by The State Bar of California Board of Legal Specialization.
In a message dated 10/27/2016 3:01:51 P.M. Pacific Daylight Time,
cdcbaa@yahoogroups.com writes:
Once 10 years runs no need for bk, the taxes go off of the irs's books.
D
Sent from my iPhone
On Oct 26, 2016, at 2:41 PM, ssoesq@aol.com [cdcbaa]
wrote:
Is the 10 year statute of limitation on collection of IRS taxes applicableto trust-fund payroll tax liability?
If met, plus any tolling events, would they become dischargeable in a
chapter 7?
I think State taxes are subject to a 20 year statute?
Where are the tax buffs?
Very truly yours,
Shai Oved
The Law Offices of Shai Oved
7445 Topanga Cyn. Blvd., Suite 220
Canoga Park, California 91303
Tel: _(818) 992-6588_ (tel:(818)%20992-6588)
Fax: _(818) 992-6511_ (tel:(818)%20992-6511)
Email: ssoesq@aol.com _www.shaioved.com_ (http://www.shaioved.com/)
________________
The information contained in this email is intended only for the
individual or entity named above and may contain attorney privileged and
confidential information. If the reader of this message is not the intended
recipient, you are hereby notified that any dissemination, distribution, or copy of
this communication is strictly prohibited. If you received this
communication in error, please immediately notify us by the telephone number above
and return any hard copies to us via the postal service.. The Law Offices of
Shai Oved is a debt relief agency which helps people file for bankruptcy
under the Bankruptcy Code. Shai Oved is a Certified Bankruptcy Law
Specialist by The State Bar of California Board of Legal Specialization.
Thank you all for the great information... It's never just that easy.
While the IRS claim(s) may no longer be enforceable, we may need to deal with
the state issues in a plan or otherwise, due to the longer statute oflimitations.
Very truly
yours,Shai OvedThe Law Offices of Shai Oved7445 Topanga Cyn. Blvd.,
Suite 220Canoga Park, California 91303Tel: (818)
992-6588Fax: (818)
992-6511Email: ssoesq@aol.com
The post was migrated from Yahoo.
Once 10 years runs no need for bk, the taxes go off of the irs's books.
D
Sent from my iPhone
> On Oct 26, 2016, at 2:41 PM, ssoesq@aol.com [cdcbaa] wrote:
>
> Is the 10 year statute of limitation on collection of IRS taxes applicable to trust-fund payroll tax liability?
>
> If met, plus any tolling events, would they become dischargeable in a chapter 7?
>
> I think State taxes are subject to a 20 year statute?
>
> Where are the tax buffs?
>
> Very truly yours,
> Shai Oved
> The Law Offices of Shai Oved
> 7445 Topanga Cyn. Blvd., Suite 220
> Canoga Park, California 91303
> Tel: (818) 992-6588
> Fax: (818) 992-6511
> Email: ssoesq@aol.com www.shaioved.com
> ________________
> The information contained in this email is intended only for the individual or entity named above and may contain attorney privileged and confidential information. If the reader of this message is not the intended recipient, you are hereby notified that any dissemination, distribution, or copy of this communication is strictly prohibited. If you received this communication in error, please immediately notify us by the telephone number above and return any hard copies to us via the postal service.. The Law Offices of Shai Oved is a debt relief agency which helps people file for bankruptcy under the Bankruptcy Code. Shai Oved is a Certified Bankruptcy Law Specialist by The State Bar of California Board of Legal Specialization.
>
The post was migrated from Yahoo.
The 10-year statute applies, starting with the assessment date. For TFRP, that's when the IRS assesses against the individual, not when the payroll tax was originally due. FTB has 20 years to collect tax.Statute of Limitations on Collection Actions | California Franchise Tax Board
|
|
|
| | |
|
|
|
| |
Statute of Limitations on Collection Actions | California Franchise Tax Board
Statute of Limitations on Collection Actions | |
|
|
The state Board of Equalization can go after a responsible person for 30 years after he's been assessed. - John D. Faucher818/889-8080
On Wednesday, October 26, 2016 3:04 PM, "'Mark J. Markus' bklawr@yahoo.com [cdcbaa]" wrote:
They don't become dischargeable--see 523(a)(1) and 507(a)(8)(C). But if there is a SOL on collections, they might become uncollectable under applicable non-bankruptcy law.
--
*************************
Mark J. Markus
Law Office of Mark J. Markus
Mailing Address Only:
11684 Ventura Blvd. PMB #403
Studio City, CA 91604-2652
(818)509-1173 (818)332-1180 (fax)
web: http://www.bklaw.com/
Certified Bankruptcy Law Specialist--The State Bar of California Board of Legal Specialization
This Firm is a Qualified Federal Debt Relief Agency
________________________________________________
NOTICE: This Electronic Message contains information from the law office of Mark J. Markus that may be privileged. The information is intended for the use of the addressee only. If you are not the addressee, note that any disclosure, copy, distribution or use of the contents of this message is prohibited.
IRS CIRCULAR 230 NOTICE: To ensure compliance with requirements imposed by the IRS, we inform you that any U.S. tax advice contained in this communication (or in any attachment) is not intended or written to be used, and cannot be used, for the purpose of (i) avoiding penalties under the Internal Revenue Code or (ii) promoting, marketing or recommending to another party any transaction or matter addressed in this communication.
On 10/26/2016 2:41 PM, ssoesq@aol.com [cdcbaa] wrote:
Is the 10 year statute of limitation on collection of IRS taxes applicable to trust-fund payroll tax liability? If met, plus any tolling events, would they become dischargeable in a chapter 7? I think State taxes are subject to a 20 year statute? y yours,
Shai Oved
The Law Offices of Shai Oved
7445 Topanga Cyn. Blvd., Suite 220
Canoga Park, California 91303
Tel:(818) 992-6588
Fax:(818) 992-6511
Email:ssoesq@aol.com www.shaioved.com
________________
The information contained in this email is intended only for the individual or entity named above and may contain attorney privileged and confidential information. If the reader of this message is not the intended recipient, you are hereby notified that any dissemination, distribution, or copy of this communication is strictly prohibited. If you received this communication in error, please immediately notify us by the telephone number above and return any hard copies to us via the postal service.. The Law Offices of Shai Oved is a debt relief agency which helps people file for bankruptcy under the Bankruptcy Code. Shai Oved isa Certified Bankruptcy Law Specialistby The State Bar of California Board of Legal Specialization.
The post was migrated from Yahoo.
They don't become dischargeable--see 523(a)(1) and 507(a)(8)(C).
But if there is a SOL on collections, they might become
uncollectable under applicable non-bankruptcy law.
*************************
Mark J. Markus
Law Office of Mark J. Markus
_*Mailing Address Only:*_
11684 Ventura Blvd. PMB #403
Studio City, CA 91604-2652
(818)509-1173 (818)332-1180 (fax)
web: http://www.bklaw.com/
Certified Bankruptcy Law Specialist--The State Bar of California
Board of Legal Specialization
This Firm is a Qualified Federal Debt Relief Agency
________________________________________________
NOTICE: This Electronic Message contains information from the law
office of Mark J. Markus that may be privileged. The information is
intended for the use of the addressee only. If you are not the
addressee, note that any disclosure, copy, distribution or use of
the contents of this message is prohibited.
IRS CIRCULAR 230 NOTICE: To ensure compliance with requirements
imposed by the IRS, we inform you that any U.S. tax advice contained
in this communication (or in any attachment) is not intended or
written to be used, and cannot be used, for the purpose of (i)
avoiding penalties under the Internal Revenue Code or (ii)
promoting, marketing or recommending to another party any
transaction or matter addressed in this communication.
On 10/26/2016 2:41 PM, ssoesq@aol.com [cdcbaa] wrote:
>
>
> Is the 10 year statute of limitation on collection of IRS taxes
> applicable to trust-fund payroll tax liability?
> If met, plus any tolling events, would they become dischargeable
> in a chapter 7?
> I think State taxes are subject to a 20 year statute?
> Where are the tax buffs?
> Very truly yours,
> Shai Oved
> The Law Offices of Shai Oved
> 7445 Topanga Cyn. Blvd., Suite 220
> Canoga Park, California 91303
> Tel: (818) 992-6588
> Fax: (818) 992-6511
> Email: ssoesq@aol.com www.shaioved.com
> ________________
> The information contained in this email is intended only for the
> individual or entity named above and may contain attorney
> privileged and confidential information. If the reader of this
> message is not the intended recipient, you are hereby notified
> that any dissemination, distribution, or copy of this
> communication is strictly prohibited. If you received this
> communication in error, please immediately notify us by the
> telephone number above and return any hard copies to us via the
> postal service.. The Law Offices of Shai Oved is a debt relief
> agency which helps people file for bankruptcy under the Bankruptcy
> Code. Shai Oved is a Certified Bankruptcy Law Specialist by The
> State Bar of California Board of Legal Specialization.
>
>
>
The post was migrated from Yahoo.
body{font-family: Geneva,Arial,Helvetica,sans-serif;font-size:9pt;background-color: #ffffff;color: black;}
The state statute is 30 years in California.
-----OrigOM>Sent: Oct 26, 2016 2:41 PM To: cdcbaa@yahoogroups.com Subject: [cdcbaa] Payroll Tax liability
Is the 10 year statute of limitation on collection of IRS taxes applicable to trust-fund payroll tax liability?
If met, plus any tolling events, would they become dischargeable in a chapter 7?
I think State taxes are subject to a 20 year statute?
Where are the tax buffs?
Very truly yours,Shai OvedThe Law Offices of Shai Oved7445 Topanga Cyn. Blvd., Suite 220Canoga Park, California 91303Tel: (818) 992-6588Fax: (818) 992-6511Email: ssoesq@aol.com www.shaioved.com________________The information contained in this email is intended only for the individual or entity named above and may contain attorney privileged and confidential information. If the reader of this message is not the intended recipient, you are hereby notified that any dissemination, distribution, or copy of this communication is strictly prohibited. If you received this communication in error, please immediately notify us by the telephone number above and return any hard copies to us via the postal service.. The Law Offices of Shai Oved is a debt relief agency which helps people file for bankruptcy under the Bankruptcy Code. Shai Oved is a Certified Bankruptcy Law Specialist by The State Bar of California Board of Legal Specialization.
The post was migrated from Yahoo.
Is the 10 year statute of limitation on collection of IRS taxes applicable
to trust-fund payroll tax liability?
If met, plus any tolling events, would they become dischargeable in a
chapter 7?
I think State taxes are subject to a 20 year statute?
Where are the tax buffs?
Very truly yours,
Shai Oved
The Law Offices of Shai Oved
7445 Topanga Cyn. Blvd., Suite 220
Canoga Park, California 91303
Tel: _(818) 992-6588_ (tel:(818)%20992-6588)
Fax: _(818) 992-6511_ (tel:(818)%20992-6511)
Email: ssoesq@aol.com _www.shaioved.com_ (http://www.shaioved.com/)
________________
The information contained in this email is intended only for the
individual or entity named above and may contain attorney privileged and
confidential information. If the reader of this message is not the intended
recipient, you are hereby notified that any dissemination, distribution, or copy of
this communication is strictly prohibited. If you received this
communication in error, please immediately notify us by the telephone number above
and return any hard copies to us via the postal service.. The Law Offices of
Shai Oved is a debt relief agency which helps people file for bankruptcy
under the Bankruptcy Code. Shai Oved is a Certified Bankruptcy Law Specialist
by The State Bar of California Board of Legal Specialization.
Is the 10 year statute of limitation on collection of IRS taxes applicable
to trust-fund payroll tax liability?
If met, plus any tolling events, would they become dischargeable in achapter 7?
I think State taxes are subject to a 20 year statute?
Where are the tax
buffs?
Very truly
yours,Shai OvedThe Law Offices of Shai Oved7445 Topanga Cyn. Blvd.,
Suite 220Canoga Park, California 91303Tel: (818) 992-6588Fax: (818)
992-6511Email: ssoesq@aol.com
The post was migrated from Yahoo.