No Result
View All Result
SUBMIT YOUR ARTICLES
  • Login
Wednesday, May 13, 2026
TheAdviserMagazine.com
  • Home
  • Financial Planning
    • Financial Planning
    • Personal Finance
  • Market Research
    • Business
    • Investing
    • Money
    • Economy
    • Markets
    • Stocks
    • Trading
  • 401k Plans
  • College
  • IRS & Taxes
  • Estate Plans
  • Social Security
  • Medicare
  • Legal
  • Home
  • Financial Planning
    • Financial Planning
    • Personal Finance
  • Market Research
    • Business
    • Investing
    • Money
    • Economy
    • Markets
    • Stocks
    • Trading
  • 401k Plans
  • College
  • IRS & Taxes
  • Estate Plans
  • Social Security
  • Medicare
  • Legal
No Result
View All Result
TheAdviserMagazine.com
No Result
View All Result
Home IRS & Taxes

Can the IRS Collect When the IRS Owes the Taxpayer? – Houston Tax Attorneys

by TheAdviserMagazine
1 year ago
in IRS & Taxes
Reading Time: 4 mins read
A A
Can the IRS Collect When the IRS Owes the Taxpayer? – Houston Tax Attorneys
Share on FacebookShare on TwitterShare on LInkedIn


The federal tax system provides various procedural safeguards to protect taxpayers while ensuring efficient tax collection. These protections become particularly important when taxpayers face immediate collection actions while simultaneously pursuing tax credits or refunds that could eliminate their tax debt.

Many businesses have recently found themselves in this situation after filing amended returns to claim COVID-relief tax credits. In these employee retention tax credit cases, the IRS owes the taxpayer for several tax periods, but the taxpayer may owes the IRS these or other tax periods. The question arises: can taxpayers prevent the IRS from collecting while their credit claims are being processed? What if the IRS is just inept and doesn’t do its assigned job function to process the tax returns showing the credits? Should that play into this issue to the taxpayer’s detriment?

The recent case of Peoplease, LLC v. Commissioner, T.C. Memo. 2025-21, provides an opportunity to consider this situation.

Facts & Procedural History

The taxpayer in this case owed employment tax liabilities for Form 941 taxes for the quarterly tax period ending December 31, 2021. By late 2023, their outstanding liability had grown to over $11.2 million. After receiving notices about their unpaid tax debts, the IRS moved forward with collection actions by issuing a Final Notice of Intent to Levy.

The taxpayer responded by requesting a hearing through the IRS Office of Appeals, where their tax attorney explained they had submitted Form 941-X claiming the Employee Retention Tax Credit. When investigating this claim, the Appeals Officer discovered additional documentation was needed. Despite multiple requests for this information through the tax litigation process, the taxpayer never responded, ultimately leading to a determination sustaining the levy action.

Collection Due Process Rights Under Section 6330

Section 6330 of the tax code establishes the foundation for taxpayer rights during collections. This section requires the IRS to notify taxpayers of their right to a hearing before proceeding with levy actions. The statute outlines specific requirements about notification timing, hearing procedures, and permissible issues that can be raised during these proceedings.

Taxpayers who owe back taxes to the IRS understand all too well that these hearings serve as a critical checkpoint in the collection process. While these hearings can provide a remedy in some circumstances, they are not a complete remedy. The code specifically details what issues may be raised, including appropriateness of collection actions, collection alternatives, and challenges to the underlying liability in certain circumstances.

Limitations on Tax Court Authority in Collection Cases

When taxpayers pursue tax litigation involving collection disputes, they must understand the boundaries of Tax Court jurisdiction. The court’s authority stems directly from Section 6330(d), which provides specific parameters for reviewing collection determinations. This is particularly important when it comes to tax attributes, such as tax credits, from other periods.

The tax code establishes strict requirements for claiming and verifying tax credits. These requirements are particularly important when taxpayers attempt to use pending credit claims to affect ongoing collection actions. Understanding how the IRS processes credit claims helps explain why unprocessed claims cannot halt collection activities.

The Employee Retention Credit and Jurisdiction

The Employee Retention Credit presents a unique challenge in CDP cases. The Tax Court in Peoplease addressed this issue head-on, making two critical determinations about ERTC claims in the collection context.

First, the court emphasized that it lacks jurisdiction in CDP cases to determine overpayments or credits from other tax periods. This jurisdictional limitation means that even if a taxpayer has potentially valid ERTC claims for other quarters that might satisfy the liability under collection, these claims cannot prevent current collection action.

Second, and perhaps more importantly, the court held that unprocessed credit claims do not constitute “available credits” that can be considered in determining whether a tax liability remains unpaid. The taxpayer had argued that its submitted ERTC claims for other quarters would ultimately resolve the liability at issue. However, the court rejected this argument, holding that mere claims for credit – even substantial ones – cannot be used to challenge the appropriateness of collection actions. This aligns with the longstanding principle from Weber v. Commissioner that potential future credits or refunds cannot serve as a basis for halting current collections.

What this misses is that the IRS is, admittedly, not processing ERTC claims. It has a statutory obligation to do so, but has administratively decided not to fulfill its delegated government obligation to process these returns. So unfortunately, with the tax court holding, the answer is that the IRS apparently can simply refuse to follow the law that requires it to process tax returns, and at the same time pursue taxpayers for collections in other periods even when the net balance is actually owed to the taxpayer and not the IRS.

The Takeaway

This case explains that taxpayers cannot rely on unprocessed credit claims, even potentially substantial ones, to prevent IRS collection actions. This principle applies broadly to all types of credit claims, including the Employee Retention Tax Credit–but it is particularly problematic for ERTCs. This does not mean that the extension of time that the CDP hearing provides is not helpful. But for taxpayers facing collection while awaiting credit processing, pursuing immediate collection alternatives may provide a more achievable remedy given this case.

Watch Our Free On-Demand Webinar

In 40 minutes, we’ll teach you how to survive an IRS audit.

We’ll explain how the IRS conducts audits and how to manage and close the audit.  



Source link

Tags: AttorneyscollectHoustonIRSOwestaxTaxpayer
ShareTweetShare
Previous Post

India’s Moment: An Examination of Student Mobility from and to a Key Player

Next Post

5 Simple Estate Planning Steps: Your Guide to Securing Your Future

Related Posts

edit post
How to navigate Section 232 tariff compliance

How to navigate Section 232 tariff compliance

by TheAdviserMagazine
May 12, 2026
0

Highlights Section 232 tariffs impose up to 50% duties on steel, aluminum, and copper content in finished goods. Compliance now...

edit post
What All Those Lawyer Billboards Say About Asset Protection |

What All Those Lawyer Billboards Say About Asset Protection |

by TheAdviserMagazine
May 12, 2026
0

Drive down almost any major highway, and you’ll see them—billboards from lawyers promising big payouts, fast settlements, and courtroom wins. ...

edit post
How to make the ROI business case for direct tax automation

How to make the ROI business case for direct tax automation

by TheAdviserMagazine
May 11, 2026
0

Highlights Forrester study shows 148% ROI and $1.7M net present value over three years. Organizations saved $2.8M through compliance cost...

edit post
How to Avoid Owing Taxes Next Year

How to Avoid Owing Taxes Next Year

by TheAdviserMagazine
May 11, 2026
0

Every year, millions of Americans write a check to the IRS in April, then spend the next twelve months with...

edit post
Form 2441 Guide: Child and Dependent Care Credit

Form 2441 Guide: Child and Dependent Care Credit

by TheAdviserMagazine
May 11, 2026
0

If you paid for daycare, after-school care, or even a household employee so you could work or look for work,...

edit post
State and Local Tax Collections Per Capita by State, 2026

State and Local Tax Collections Per Capita by State, 2026

by TheAdviserMagazine
May 11, 2026
0

While federal income taxA tax is a mandatory payment or charge collected by local, state, and national governments from individuals...

Next Post
edit post
5 Simple Estate Planning Steps: Your Guide to Securing Your Future

5 Simple Estate Planning Steps: Your Guide to Securing Your Future

edit post
OH MY! – OVERVIEW OF NON-MOTOR VEHICLE LAW IN FLORIDA — Florida Estate Planning Lawyer Blog — February 10, 2025

OH MY! – OVERVIEW OF NON-MOTOR VEHICLE LAW IN FLORIDA — Florida Estate Planning Lawyer Blog — February 10, 2025

  • Trending
  • Comments
  • Latest
edit post
Gavin Newsom issues ‘final warning’ amid California’s dire housing crisis — what’s at stake for millions of residents

Gavin Newsom issues ‘final warning’ amid California’s dire housing crisis — what’s at stake for millions of residents

May 3, 2026
edit post
Florida Warning: With Senior SNAP Benefits Averaging 8/Month, Thousands Risk Losing Assistance in 2026

Florida Warning: With Senior SNAP Benefits Averaging $188/Month, Thousands Risk Losing Assistance in 2026

April 27, 2026
edit post
Minnesota Wealth Tax | Intangible Personal Property Tax

Minnesota Wealth Tax | Intangible Personal Property Tax

May 6, 2026
edit post
10 Cheapest High Dividend Stocks With P/E Ratios Under 10

10 Cheapest High Dividend Stocks With P/E Ratios Under 10

April 13, 2026
edit post
Exclusive: America’s largest Black-owned bank launches podcast with mission to unlock hidden shame holding back generational wealth

Exclusive: America’s largest Black-owned bank launches podcast with mission to unlock hidden shame holding back generational wealth

April 29, 2026
edit post
NYC Mayor Mamdani knocked Ken Griffin in pied-a-terre tax promo. His firm calls the move ‘shameful’

NYC Mayor Mamdani knocked Ken Griffin in pied-a-terre tax promo. His firm calls the move ‘shameful’

April 23, 2026
edit post
PFC Q4 Results: Profit rises 24% to Rs 6,325 crore as interest income grows

PFC Q4 Results: Profit rises 24% to Rs 6,325 crore as interest income grows

0
edit post
8 Times A Veteran Could Use Your Help But Is Too Afraid to Ask For It

8 Times A Veteran Could Use Your Help But Is Too Afraid to Ask For It

0
edit post
India’s Moment: An Examination of Student Mobility from and to a Key Player

India’s Moment: An Examination of Student Mobility from and to a Key Player

0
edit post
What a Partially Favorable SSDI Decision Means

What a Partially Favorable SSDI Decision Means

0
edit post
Americans Drown In Debt While Washington Pretends The Economy Is Strong

Americans Drown In Debt While Washington Pretends The Economy Is Strong

0
edit post
Lumexa outlines 2026 revenue of .045B-.097B while targeting 8-10 de novo openings (NASDAQ:LMRI)

Lumexa outlines 2026 revenue of $1.045B-$1.097B while targeting 8-10 de novo openings (NASDAQ:LMRI)

0
edit post
PFC Q4 Results: Profit rises 24% to Rs 6,325 crore as interest income grows

PFC Q4 Results: Profit rises 24% to Rs 6,325 crore as interest income grows

May 13, 2026
edit post
Lumexa outlines 2026 revenue of .045B-.097B while targeting 8-10 de novo openings (NASDAQ:LMRI)

Lumexa outlines 2026 revenue of $1.045B-$1.097B while targeting 8-10 de novo openings (NASDAQ:LMRI)

May 13, 2026
edit post
Frankenpipelines: Inside Trump’s bid to resurrect Keystone XL and stretch Dakota Access north

Frankenpipelines: Inside Trump’s bid to resurrect Keystone XL and stretch Dakota Access north

May 13, 2026
edit post
Texmaco Rail & Engineering shares zoom 13% on strong Q4 show, order win worth Rs 4,045 crore

Texmaco Rail & Engineering shares zoom 13% on strong Q4 show, order win worth Rs 4,045 crore

May 13, 2026
edit post
Americans Drown In Debt While Washington Pretends The Economy Is Strong

Americans Drown In Debt While Washington Pretends The Economy Is Strong

May 13, 2026
edit post
Wednesday’s Economic Calendar | Seeking Alpha

Wednesday’s Economic Calendar | Seeking Alpha

May 13, 2026
The Adviser Magazine

The first and only national digital and print magazine that connects individuals, families, and businesses to Fee-Only financial advisers, accountants, attorneys and college guidance counselors.

CATEGORIES

  • 401k Plans
  • Business
  • College
  • Cryptocurrency
  • Economy
  • Estate Plans
  • Financial Planning
  • Investing
  • IRS & Taxes
  • Legal
  • Market Analysis
  • Markets
  • Medicare
  • Money
  • Personal Finance
  • Social Security
  • Startups
  • Stock Market
  • Trading

LATEST UPDATES

  • PFC Q4 Results: Profit rises 24% to Rs 6,325 crore as interest income grows
  • Lumexa outlines 2026 revenue of $1.045B-$1.097B while targeting 8-10 de novo openings (NASDAQ:LMRI)
  • Frankenpipelines: Inside Trump’s bid to resurrect Keystone XL and stretch Dakota Access north
  • Our Great Privacy Policy
  • Terms of Use, Legal Notices & Disclosures
  • Contact us
  • About Us

© Copyright 2024 All Rights Reserved
See articles for original source and related links to external sites.

Welcome Back!

Login to your account below

Forgotten Password?

Retrieve your password

Please enter your username or email address to reset your password.

Log In
No Result
View All Result
  • Home
  • Financial Planning
    • Financial Planning
    • Personal Finance
  • Market Research
    • Business
    • Investing
    • Money
    • Economy
    • Markets
    • Stocks
    • Trading
  • 401k Plans
  • College
  • IRS & Taxes
  • Estate Plans
  • Social Security
  • Medicare
  • Legal

© Copyright 2024 All Rights Reserved
See articles for original source and related links to external sites.