- 9 - from joint and several liability in certain circumstances if sections 6015(b) and (c) are unavailable. A. Section 6015(b) Relief Section 6015(b) provides in part: SEC. 6015. RELIEF FROM JOINT AND SEVERAL LIABILITY ON JOINT RETURN. * * * * * * * (b) Procedures for Relief From Liability Applicable to All Joint Filers.-- (1) In general.–-Under procedures prescribed by the Secretary, if-- (A) a joint return has been made for a taxable year; (B) on such return there is an understatement of tax attributable to erroneous items of 1 individual filing the joint return; (C) the other individual filing the joint return establishes that in signing the return he or she did not know, and had no reason to know, that there was such understatement; (D) taking into account all the facts and circumstances, it is inequitable to hold the other individual liable for the deficiency in tax for such taxable year attributable to such understatement; and (E) the other individual elects (in such form as the Secretary may prescribe) the benefits of this subsection not later than the date which is 2 years after the date the Secretary has begun collection activities with respect to the individual making the election, 8(...continued) Haggart is not eligible for relief under sec. 6015(c) because she was married to and living with Mr. Haggart at the time she made the election.Page: Previous 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 Next
Last modified: May 25, 2011