There are certain issues that the Tax Court stonewalls and refuses to address. One such issue is the meaning of the word “verification” where it appears in I.R.C. Sec. 6330(c)(1). That is the Collection Due Process (CDP) statute that informs Appeals...
A friend of mine, a man deeply involved with the Service, sent me an impressive package of research, law, authority, and facts to be considered in his frivolous tax return Collections Due Process hearing (CDP)[1]. He was planning to send it along with his request for...