Opinion
3900-20
02-16-2023
ORDER
Christian N. Weiler Judge
On February 14, 2023, the Court held a conference call with the parties to discuss the status of this case. During the call, petitioner proposed an Offer in Compromise (OIC)- Doubt as to Collectability, to settle her case. Respondent stated that an OIC is a possibility and would furnish petitioner with copies of forms 433-A and 656-B, and would refer the offer to the IRS's Centralized Offer in Compromise group for their consideration upon receipt of these forms from petitioner.
Upon due consideration, it is
ORDERED that on or before April 17, 2023, petitioner may submit her Offer in Compromise, including forms 433-A and 656-B, to respondent. It is further
ORDERED that on or before May 17, 2023, respondent shall file a status report confirming receipt of petitioner's OIC and that the OIC is under consideration by IRS.