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Getting Serious About IRS Liens – TONIGHT

Wednesday, November 28, 2012 18:12
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(Before It's News)

Wednesday:
Getting Serious About IRS Liens
REMEMBER: CHECK FOR THE NEW PHONE AND PIN NUMBER FOR
THESE CALLS BY LOGGING INTO YRIITL AND CLICKING ON THE FREE TELE-CONFERENCES
TAB
Public Service
Announcement:
THIS Wednesday CALL
CONFERENCE CALL
YOU WON’T WANT TO MISS THIS CALL
Roaches Fleeing – Getting Serious
About Liens
Last week
Barry talked to you about what is below respecting the results already had
by merely “filing” a suit against the  United States .
This week
Barry is talking to you about you getting serious about getting IRS
“Notice(s)” of Lien off your credit reports and off the public
record
.
Barry has an
acquaintance whose car was damaged in a multi-car accident. The person that
hit him had insurance that owed him for the damage. More than six months
had passed and my acquaintance had not received his settlement and he
needed the money. I told him, “That is the result of a lack of resolve on
your part.” Most of the people that receive this that have IRS liens have
no success story about getting the liens released or withdrawn, and there
is a difference, because like my acquaintance,they have not resolved
to make an educated and diligent effort
 to get them released
or withdrawn.
These
“notices” of lien are against your property, and against
your credit report
, and the only place the resolve is going to come
from is you; because you are the one that it matters too!
Join Barry on
the call tonight and let’s get the “educated” part taken care of and let’s
see if we can increase your resolve so in the end you have a positive story
to tell.
One of Barry’s
Students filed a 26 U.S.C. § 7433 suit alleging that the IRS refused to
process amended returns and issue refunds. The answer filed by the 
United States  reflects that as I have predicted, the IRS immediately
took action to moot the suit by saying in their answer to the suit
[Emphasis added]:
“The Internal
Revenue Service has processed the amended returns filed by the
taxpayer for the 2005 and 2006 income tax years and refunds have been
issued for both years
. Therefore, claims for refund alleged in the
complaint are now moot.”
“The amended
tax returns for the 2006 tax year have beenprocessed and a refund of
$16,430.18
 was issued to the taxpayer – which is in excess of the
$16,390 alleged as owed in claim 1. Therefore, the refund demanded in claim
1 is now paid and the issue is moot.”
“The amended
tax returns for the 2005 tax year have been processed and a refund
of $24,664.03 was issued to the taxpayer
 – which is in excess of
the $20,036.04 alleged as owed in claim 2. Therefore, the refund demanded
is claim 2 is now paid and the issue is moot.”
“As part of
its overall review of the taxpayer’s accounts for this litigation, the
Internal Revenue Service re-considered her defense and decided to
abate all penalties
 subject to a reasonable cause defense.
Therefore, any claim for refund based on the denial of reasonable cause is
now moot.”
So, according
to the answer from the  United States , the filing of a § 7433 suit
resulted in refunds of $16,430.18, $24,664.03, and the abatement of all
penalties. Previously, the IRS had stubbornly, and bureaucratically,
refused to process those refunds.
That is a nice
result as far as it goes. The customer is still looking to move the suit
forward looking for damages promised in that section.
I am unaware of anyone having
filed suit with respect to unlawful liens under similar sections 7432 and
6323(j). Maybe you would like to be the first? Who knows; like cockroaches
scurrying from the light you might get an answer back saying similar things
as above with respect to their unlawful “notices” of lien.
~*~ 
YRIITL
has been serving the American community for over 7 years to secure the very
best in Information Providers to assist you and teach you to deal with
court related matters.  Our Students are simply the best informed, bar
none.     
~*~ 
For
more information …….
Contact Martin Michaelsson: MM@YourRemedyIsIn TheLaw.com
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Best regards,

ME


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