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Form 12203 for Burbank California: What You Should Know

Forms for filing appeals are provided to you to file by the taxpayer in order to ensure your appeal is received in an expeditious manner.   In order to avoid a delay in your filing of an appeal. When your appeal is filed, it must be accompanied by payment for your filing fee. The payment for a filing fee can be in the form of a check, or it may be made by a credit card or electronic fund transfer (EFT).  If you are filing an appeal under section 553 of the Internal Revenue Code and if you are a United States citizen, U.S. national or U.S. resident alien, the form is available in English by using the “English Version” links provided by the links below, or your appeal will appear in the French alphabetical format. In addition, if you are filing your appeal in the same country and language where you file tax returns and pay and remit your taxes. The form is available in Spanish by using the “Spanish Version” links below. When you file an appeal, you must attach a statement form (Form 3520) from the Internal Revenue Service showing that at the time your request for review was issued, the United States government did not give you notice of the appeal decision. A taxpayer or legal representative who fails to file a Statement of Appeal and Payment of the Processing Fee within 15 days of the notice of decision issued by an Internal Revenue Service office may be subject to criminal penalties and is urged to file in accordance with section 7203(d) of the Internal Revenue Code. If the taxpayer is filing an appeal as part of their U.S. citizen, U.S. national or U.S. resident alien foreign income tax return, the taxpayer must be notified of the appeal by certified mail and a letter identifying the Taxpayer/Legal Representative and advising that the taxpayer/legal representative is also paying a filing fee. This notification should be sent within 12 months prior to the date of the hearing in U.S. Tax Court concerning the matter. If the taxpayer is filing an appeal on a return or claim of U.S. tax withheld from a foreign source and if the foreign source is not a foreign country, the taxpayer will not receive a notice of appeal. If you wish to review the information contained on the form, your appeal must be filed in writing within 30 days after the appeal decision is issued in a hearing in U.S.

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