Tavolacci v. Commissioner of Internal Revenue
Apr 30, 2018OUTCOME: That there are no deficiencies due from petitioner for the taxable years 2001, 2002, 2003, and 2004, after the application of I.R.C. § 6015(b)
Taxpayer was denied Innocent Spouse Relief at the audit level. The "national tax resolution firm" he had hired was ready to give up and move on to figuring out how much he could afford to pay. Thi ... s liability was going to be hundreds of thousands of dollars, but - Attorney Groth filed his case in Tax Court. And through negotiation with docketed IRS appeals, Attorney Groth was able to obtain full relief for his client Now he's off the hook. See the stipulated decision here: https://www.ustaxcourt.gov/UstcDockInq/DocumentViewer.aspx?IndexID=7346836
