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Form 866 (Rev. July 1981) Page 1. Department of the Treasury - Internal Revenue Service. Agreement as to Final Determination of Tax Liability.
Enclosed is Form 906, Closing Agreement, under Internal Revenue Code Sections 7121 and 6224 (c), reflecting the terms of the settlement, as well as certain attachments.
The Notice of Deficiency IRS Letters 3219 and 531 (also referred to as 90-Day Letters), are a taxpayer's legal notice that the IRS is proposing a deficiency (balance due). This notice or letter may include additional topics that have not yet been covered here. Please check back frequently for updates.
The Notice of Deficiency IRS Letters 3219 and 531 (also referred to as 90-Day Letters), are a taxpayer's legal notice that the IRS is proposing a deficiency (balance due). This notice or letter may include additional topics that have not yet been covered here. Please check back frequently for updates.
A closing agreement is a binding agreement between the IRS and a taxpayer that, if properly executed, finally and conclusively settles a tax issue between the IRS and a taxpayer. While closing agreements exhibit some of the attributes of a contract, they are not strictly subject to the law of contracts.

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Form 866 (Rev. July 1981) Page 1. Department of the Treasury - Internal Revenue Service. Agreement as to Final Determination of Tax Liability.
Enclosed is Form 906, Closing Agreement, under Internal Revenue Code Sections 7121 and 6224 (c), reflecting the terms of the settlement, as well as certain attachments.
A closing agreement is a binding agreement between the IRS and a taxpayer that, if properly executed, finally and conclusively settles a tax issue between the IRS and a taxpayer. While closing agreements exhibit some of the attributes of a contract, they are not strictly subject to the law of contracts.

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