$300,000 Payroll Tax Debt Placed in Currently Not Collectable (CNC) Status by the IRS

After a prolonged cash‑flow crunch, a car repair shop fell behind on payroll tax deposits. The owner was also personally assessed under the Trust Fund Recovery Penalty (IRC Section 6672), resulting in approximately $300,000 of federal payroll tax debt. After receiving Notices of Intent to Levy from the IRS, the Taxpayer contacted DeWitt Law. We moved quickly to protect the client: we filed a timely Collection Due Process (CDP) request…

Levy & Garnishment Action Prevented

Client was self-employed real estate developer facing over $285,000 in income tax debt. An IRS Revenue Officer was assigned to the case and Client was initially represented by their accountant. No resolution was reached and the Revenue Officer threatened levy and garnishment action. Client retained DeWitt Law. A Collection Due Process request was filed, which forwarded the matter to the IRS Office of Appeals and suspended levy and garnishment action…

Release of Levy Initiated by Revenue Officer

Client was self-employed restaurant owner facing over $150,000 in payroll tax debt. An IRS Revenue Officer was assigned to the cases and initiated a bank levy to seize all funds in Client’s bank accounts. DeWitt Law represented Client, negotiated a full levy release with the Revenue Officer and a Partial Pay Installment Agreement to resolve the outstanding tax debt.