- 3 - Appeals Office received petitioner’s hearing request. The tax periods were identified as petitioner’s 1999, 2000, and 2003 tax years. On January 23, 2005, petitioner sent a letter to Mr. Neubauer advising him that she wanted a face-to-face section 6330 hearing in San Diego, California. Petitioner’s case was transferred to the San Diego Appeals Office, and on February 24, 2005, Appeals Team Manager Jon Leo sent petitioner a letter advising her that the San Diego Appeals office received petitioner’s hearing request. On April 21, 2005, Settlement Officer Cynthia Chadwell sent petitioner a letter advising petitioner that she (Ms. Chadwell) was assigned to petitioner’s hearing request and requesting petitioner contact her (Ms. Chadwell) by May 5, 2005, to schedule a face-to-face hearing. Ms. Chadwell included with this letter a Form 433-A, Collection Information Statement for Wage Earners and Self-Employed Individuals, for petitioner to complete and return with supporting information. She also requested a copy of petitioner’s 2004 income tax return. Petitioner did not contact Ms. Chadwell on or before May 5, 2005. On May 9, 2005, Ms. Chadwell sent petitioner a letter requesting petitioner contact Ms. Chadwell by May 24, 2005, to schedule a face-to-face hearing.Page: Previous 1 2 3 4 5 6 7 8 9 10 Next
Last modified: May 25, 2011