Taxpayer Due Process Enhancement Act
Strengthens taxpayer due process by suspending refund limitation periods during CDP hearings, blocking overpayments from offsetting disputed liabilities, and expanding Tax Court re
Strengthens taxpayer due process by suspending refund limitation periods during CDP hearings, blocking overpayments from offsetting disputed liabilities, and expanding Tax Court re
1) Suspension of period of limitations on filing a claim for credit or refund during collection action proceedings
- Amends 6330(e) to insert references to 6511 limitations.
- Adds new paragraph: while a CDP hearing is pending (and related appeals), the period for filing a claim for credit or refund is suspended for the portion of the liability that is properly disputed at the hearing.
- Suspension ends if a deadline lapses or a court action/order shows the taxpayer forfeited the dispute.
- Applies to lookback periods and any extended assessment periods tied to agreement with IRS (where applicable).
2) Prohibition on crediting of overpayments against disputed tax liability during collection action proceedings
- Adds new subsection 6402(o).
- If a taxpayer properly disputes an underlying liability at a CDP hearing, the IRS cannot apply overpayments to that disputed liability during the suspension period, unless the taxpayer consents.
- Applies similarly to certain levy hearing rules, clarifying terminology for lien/collection actions.
3) Expansion of jurisdiction of the Tax Court
- Expands 6330(d)(1) so that, upon petition, the Tax Court has jurisdiction over:
- The CDP determination, and
- Any underlying tax liability properly disputed at the hearing.
- Jurisdiction persists regardless of whether the IRS abandons the collection action or proposed collection action.
- Effective for petitions filed after enactment.
4) Effective dates
- Suspension-related provisions apply to periods ending on or after enactment.
- The overpayment credit restrictions apply to periods described by 6402(o) that fall after enactment.
- Tax Court jurisdiction expansion applies to petitions filed after enactment.
HR 6506 enhances taxpayer due process in IRS collection matters by delaying limitations on refunds, preventing automatic application of overpayments to disputed liabilities during CDP proceedings, and broadening Tax Court oversight of collection determinations and underlying disputed liabilities. It aims to increase fairness and access to timely relief for taxpayers contesting collection actions.
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