If you are considering filing an Innocent Spouse Request with the IRS, hiring an Tax Attorney with experience in Innocent Spouse Relief matters is in your best interest.
We decided to do a podcast about Innocent Spouse Relief.
I recently had the pleasure of talking with Attorney Anthony Parent over at IRSMedic: Parent & Parent LLP on his up-and-coming (and entertaining) tax podcast “Parental Advisory: The Show”. It was a great experience. We might have gotten a little off-track at first, talking about the Connecticut Department of Revenue Services and how they like to put pressure on individuals taxpayers by charging them personally as criminals when they fall behind on state taxes. (Even though they can’t actually do that in some cases, they still do.)
Though we did not get into too much of the nitty-gritty of Innocent Spouse Relief under Revenue Procedure 2013-34, we did discuss some high points of what to do, and – more importantly what not to do when filing a claim for Innocent Spouse relief under the “equitable relief” provisions of Internal Revenue Code 6015(f).