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Payroll Tax liability =C2=A0=C2=A0 The 10-year statut=

Posted: Wed Oct 26, 2016 5:08 pm
by Yahoo Bot

Until 2006, FTB had no collection expiration date.Board of Equalization can file a lien notice, good for 10 years, and renew it twice. I don't think they have a collection expiration date, but in practice, they stop when the lien dies.
On Wednesday, October 26, 2016 4:38 PM, "'Stella Havkin' havkinlaw@earthlink.net [cdcbaa]" wrote:
I had a case that the FTB and SBE was going after my responsible Sent: Wednesday, October 26, 2016 3:27 PM
To: cdcbaa@yahoogroups.com
Subject: Re: [cdcbaa] Payroll Tax liability 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
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Statute of Limitations on Collection Actions | California Franchise Tax Board
Statute of Limitations on Collection Actions | |
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The state Board of Equalization can go after a responsible person for 30 years after he's been assessed. - John D. Faucher818/889-8080yahoo.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. --
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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? Shai Oved
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