Eleanor Simon - Page 21

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          present, petitioner does not qualify for relief under section               
          4.02(1) of Revenue Procedure 2000-15.                                       
               The IRS may nonetheless grant relief to petitioner under               
          section 4.03 of Revenue Procedure 2000-15.  That section provides           
          a partial list of positive and negative factors which respondent            
          is to take into account in considering whether to grant an                  
          individual relief under section 6015(f).  No single factor is to            
          be determinative in any particular case; all factors are to be              
          considered and weighed appropriately; and the list of factors is            
          not intended to be exhaustive.  Rev. Proc. 2000-15, sec. 4.03,              
          2000-1 C.B. at 448.                                                         
               As pertinent here, section 4.03(1) of Revenue Procedure                
          2000-15 sets forth the following positive factors which weigh in            
          favor of granting relief under section 6015(f):                             
                    (a) Marital status.  The requesting spouse is                     
               * * * divorced from the nonrequesting spouse.                          
                    (b) Economic hardship.  The requesting spouse                     
               would suffer economic hardship (within the meaning of                  
               section 4.02(1)(c) of this revenue procedure) if relief                
               from the liability is not granted.                                     
                    (c) Abuse.  The requesting spouse was abused by                   
               the nonrequesting spouse, but such abuse did not amount                
               to duress.                                                             
                    (d) No knowledge or reason to know.  In the case                  
               of a liability that was properly reported but not paid,                
               the requesting spouse did not know and had no reason to                
               know that the liability would not be paid. * * *                       
                    (e) Nonrequesting spouse’s legal obligation.  The                 
               nonrequesting spouse has a legal obligation pursuant to                
               a divorce decree or agreement to pay the outstanding                   





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