- 10 -
pending
12/16/1994 Legal/Bankruptcy suit
no longer pending
4/15/1995 Overpaid credit applied $991.78
1040 199412
3/18/1996 Overpaid credit applied 1,030.00
1040 199512
3/10/1997 Overpaid credit applied 523.00
1040 199612
3/30/1998 Overpaid credit applied 535.00
1040 199712
6/16/1998 Subsequent payment
miscellaneous payment 408.95
-/--/1999 Overpaid credit applied 2,001.00
1040 199812
Failure to pay tax
penalty 822.80
199918
Interest assessed 778.14 5/17/1999
199918
2/26/2001 Legal/Bankruptcy suit
pending1
5/28/1990 Notice of balance due
6/28/1990 Notice of intent to levy
5/15/1995 Notice of intent to levy
Assessed items balance due .00
1 The entries of 2/7/91 and 2/7/94 reflect bankruptcy suits
filed by petitioner and Mr. Washington which were subsequently
discharged on 12/16/94. The 2/26/01 entry reflects the legal
proceeding commenced in this Court by petitioner.
E. Petitioner’s Request for Relief From Joint Liability for Tax
Under Section 6015
On or about June 29, 1999, respondent received from petitioner
multiple Forms 8857, Request for Innocent Spouse Relief, in which
she sought relief from joint liability for the years 1995 through
1998. Attached to that form was a letter dated June 17, 1999, in
which petitioner requested tax refunds for each year, together with
interest. Petitioner stated that her credit had been impaired as
a result of the IRS liens. She requested that the liens be removed
and that she be relieved of all liability for taxes, interest,
penalties, and other accruing amounts.
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