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A Guide to Filing Petitions, Burden of Proof, and Settlement Strategies

By jobelle metillo  Published On May 8, 2025

Navigating the complexities of tax disputes with the Internal Revenue Service (IRS) can be daunting for both individuals and businesses. One of the primary avenues for contesting IRS determinations is the United States Tax Court, a specialized federal court that addresses tax-related cases. Understanding the procedures, requirements, and strategic considerations involved in filing a Tax Court petition is crucial for taxpayers seeking to resolve disputes effectively.

Understanding the Tax Court Petition Process

When the IRS proposes adjustments to a taxpayer’s return, it issues a Notice of Deficiency, commonly referred to as a “90-day letter.” This notice signifies the IRS’s intent to assess additional tax, and it provides the taxpayer with a 90-day window (150 days if addressed outside the United States) to file a petition with the Tax Court to contest the proposed assessment without first paying the disputed amount.

Key Considerations Before Filing

  1. Timeliness: Filing within the specified period is mandatory. Late petitions result in the loss of the right to contest the deficiency in the Tax Court.
  1. Jurisdiction: The Tax Court has jurisdiction over various tax matters, including income, estate, and gift taxes. It’s essential to confirm that your case falls within its purview.
  1. Burden of Proof: Generally, the burden of proof lies with the taxpayer. However, in certain situations, such as disputes involving penalties or specific factual issues, the burden may shift to the IRS.
  1. Small Tax Case Procedure: For disputes involving $50,000 or less for any tax year, taxpayers might opt for the “S case” procedure, which offers a more informal and expedited process.

Steps in the Tax Court Process

  1. Filing the Petition: The petition must clearly state the errors alleged in the IRS’s determination and the facts supporting the taxpayer’s position.
  1. IRS Response: Upon receiving the petition, the IRS will file an answer, addressing the allegations and outlining its stance.
  1. Discovery: Both parties engage in the discovery process to gather pertinent information, which may include document exchanges, depositions, and interrogatories.
  1. Trial Preparation and Proceedings: If the case proceeds to trial, both parties present evidence and arguments before a Tax Court judge.
  1. Settlement Opportunities: Throughout the process, there are opportunities to negotiate settlements with the IRS, potentially resolving the dispute without a trial.

Strategic Considerations

  • Choice of Forum: While the Tax Court allows disputes without prior payment of the contested tax, other forums like U.S. District Courts or the U.S. Court of Federal Claims require payment first but offer options like jury trials.
  • Legal Representation: Navigating Tax Court procedures can be complex. Engaging a tax professional or attorney with experience in tax litigation can enhance the likelihood of a favorable outcome.
  • Documentation: Maintaining thorough and organized records is vital, as the Tax Court’s decisions are based on the evidence presented.

Conclusion

Engaging with the Tax Court provides taxpayers with a structured pathway to contest IRS determinations. By understanding the procedural requirements and strategic considerations, taxpayers can effectively navigate the process toward a resolution.

For additional assistance, visit www.phanchor.com. Need help? Call 1-904-265-0765 or email [email protected]. Our team is here to guide you through your tax-related challenges!


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