U.S. Tax Court Litigation

I Want the United States Tax Court to Hear My Case
If you receive a Statutory Notice of Deficiency (“Notice of Deficiency”) and want your case heard in Tax Court, you must file a petition with the Tax Court within 90 days of the date that the Notice of Deficiency (as indicated on the Notice), or 150 days if the Notice of Deficiency is addressed outside the United States. You can also petition the Tax Court, in certain limited circumstances, for other matters such as a claim for relief from joint and several liability (Innocent Spouse Relief), Final Partnership Adjustments, a disagreement with the outcome of your Collection Due Process Hearing, Notice of Certification of a Seriously Delinquent Federal Tax Debt to the State Department, Declaratory Judgments, and worker classification issues. These matters have different deadlines for petitioning the Tax Court; therefore, it is imperative that you pay close attention to any correspondence you receive regarding a due date for filing a petition with the Tax Court and to consult with a tax professional as soon as possible.
Missed the Deadline to Petition the Tax Court? There Are Options
If you’ve missed the deadline to petition the Tax Court, the IRS will assess the tax and proposed penalties. However, you still have several options:
1. Disputing the Liability in Court. If you believe you don’t owe all or part of the liability, you can:
2. Alternatives to Court Disputes. If you can’t pay the assessed tax or prefer not to dispute it in court, depending on your circumstances, you can:
3. IRS Collection Actions. If you take no action, depending on where you are in the collections process, the IRS may:
Remember: