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Form 14135 Irvine California: What You Should Know

Oct 2025 — If you're unable to file Form 14135 for one or more reasons, contact the appropriate agency for assistance. For example, the following are examples of situations where you may be unable to discharge the tax debt: 1. The sale is for an amount that is in excess of the federal gross receipts. 2. The sale is for more than 5 000. 3. The sale consists of a combination of sales for more than 100 and 300. 4. The sale consists of sales within 180 days of the earliest of the date of the transaction and the date of the sale. (RMS Law — Part 7 — Sale for Payment). A taxpayer may, by filing IRS Form 7041, file an alternative proof of property use or ownership (also known as an alternative payment receipt) that the sale was made not for the purposes of a business. 4 Oct 2025 — The taxpayer must submit documentation proving that the property was not used or held by the taxpayer for the purpose of making a payment. The documentation must also show that the property was not used or held by the taxpayer for sale as collateral under another transaction (or for the acquisition or retention of or for the use or enjoyment of property). The documentation should show that the taxpayer had not used or held the property for the purpose of paying debt or taxes before the taxpayer entered into the transaction. (RMS Law — Part 7 — Sale for Payment). A taxpayer may, by filing IRS Form 7041, file an alternative proof of property use or ownership (also known as an alternative payment receipt) that the sale was made for the purpose of paying off a debt. 3 Oct 2025 — The taxpayer must submit documentation proving that the property was sold for less than the least of 50 and the federal gross annual income. You must also submit one of the following documents: 1. A financial statement(s) that shows a net amount for all sales for more than 150. 1. The federal tax return of the taxpayer where the income is reported. Reasonable Payment Due 8-Oct 2025 — You must obtain written documentation establishing that (1) the interest on the tax lien was less than the interest which accrues on the debt, and (2) the tax lien is not intended by the taxpayer to provide for any future collections on the lien of the tax debt.

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