Do you currently have a business, or did you formally own or were involved in a business (now defunct) as a corporate officer, member, employee (i.e. bookkeeper) etc. that was liable to pay Federal employment or excise taxes?

 Has the Internal Revenue Service proposed assessment or has assessed the Trust Fund Recovery Penalty against you for failure to deposit such employment and/or excise taxes?

 What was your involvement and duties as an officer, member or employee?  On what basis did the Internal Revenue Service determine that you were a responsible and willful party with respect to the failure to deposit employment and/or excise taxes?

What documentation does the Internal Revenue Service possess to validate their assessment of the Trust Fund Recovery Penalty against you?

 If you have had the Trust Fund Recovery Penalty assessed against you, TAXSHARK LLC can assist you in determining the validity of that assessment.

 If not valid, TAXSHARK LLC can assist you in appealing the Trust Fund Recovery Penalty assessment through the Appeals Division of the Internal Revenue Service. The goal here is to obtain, either a full or partial abatement of the Trust Fund Recovery Penalty assessed against you.

 If the assessment is confirmed to be a valid one, and you are unable to fully pay the liability, TAXSHARK LLC can assist you in negotiating an appropriate resolution with the Internal Revenue Service.  Such resolutions may include an Installment Agreement, Offer In Compromise or Unable to Pay due to Hardship (temporary suspense of collection action against you).