If you’ve received a Notice of Federal Tax Lien (“NFTL”) from the IRS, time is of the essence. With our proven administrative process, you can successfully challenge and eliminate the IRS’s claims by obtaining a Court Order of Dismissal for Lack of Jurisdiction from the U.S. Tax Court.
Our solution is rooted in a deep understanding of federal tax law and jurisdiction, providing you with a powerful defense against IRS enforcement actions. A federal tax lien is one of the most serious collection tools used by the IRS because it creates a public legal claim against your property, assets, and financial interests. Left unresolved, a lien can negatively impact your real estate, refinancing ability, business operations, creditworthiness, and future financial transactions.
Why Act Now?
A Notice of Federal Tax Lien is often a precursor to more aggressive IRS enforcement actions, including levies and asset seizures. The window to challenge the notice is limited, making immediate action critical. Our process addresses the issue decisively and strategically.
We guarantee that eligible candidates will receive a Court Order of Dismissal for Lack of Jurisdiction for the tax year(s) in question. If you meet the criteria and follow the process as outlined, you are protected by our 100% Money-Back Guarantee.
Common notices associated with this process include:
- Letter 3172
- Notice of Federal Tax Lien Filing and Your Right to a Hearing Under IRC 6320
- CP504
- LT11
- Letter 1058
- Final Notice of Intent to Levy notices
Eligibility Requirements
To qualify for our lien dismissal process, you must meet the following criteria:
- Not a Federal Employee or Resident Alien: You cannot currently work for the federal government or hold U.S. Resident Alien status.
- Recently Received Notice: You must have received the NFTL or related lien notice within the last 20 days from the date listed on the notice.
- No Form 1040 Filed: You must not have filed a Form 1040 income tax return for the tax year(s) listed on the NFTL.
- No Prior U.S. Tax Court Activity: You must not have filed amended petitions, communicated with the U.S. Tax Court, or paid any filing fees related to the tax year(s) in question.
- Agreement to Terms: You must have read and agreed to our Terms of Use.
How to Get Started
To initiate the process, email us the following documents and information:
- A PDF copy of the entire NFTL or related IRS notice (with your Social Security Number redacted).
- A personal affirmation addressing each of the five eligibility criteria.
- Your phone number and the best time for us to contact you.
- A completed Form 12153 (Request for Collection Due Process Hearing), signed and dated.
Once we receive your documents, our staff will review them and respond within 72 hours (excluding weekends) to confirm your eligibility. If approved, we will invoice you and provide detailed next steps.
What to Expect
- Step One: Submit Documents
We guide you through submitting Form 12153 and supporting documentation to the IRS. This initiates the Collection Due Process Hearing process.
- Step Two: Monitor Progress
The IRS generally responds within approximately 60 days of receiving your Form 12153. If no response is received, we guide you through the proper follow-up procedures.
- Step Three: Court Order of Dismissal
Following the administrative process, we assist you in securing a Court Order of Dismissal for Lack of Jurisdiction for the tax year(s) in question.
- Step Four: Final Resolution
Once the dismissal is issued, the IRS must release the lien and cease enforcement activity for the affected tax year(s).
Why Choose Us?
Proven Track Record: Hundreds of clients have successfully defeated IRS liens through our process.
Jurisdictional Expertise: Our process is rooted in jurisdictional principles and constitutional protections.
Risk-Free Guarantee: If you meet the eligibility criteria and follow the process, we guarantee the result or your money back.
Comprehensive Support: From document review to procedural guidance, we assist you every step of the way.
Important Considerations
Lien vs. Levy: A lien is a legal claim against property, while a levy involves the actual seizure of money or assets. If both enforcement actions exist, they must be addressed separately.
Asset Protection: During active IRS enforcement actions, many clients choose to temporarily safeguard liquid assets held in accounts associated with their Social Security Number.
Strict Deadlines Apply: Delays may result in the loss of important procedural rights and may allow the IRS to escalate collection efforts.
Take Action Today
A Notice of Federal Tax Lien is a serious matter, but it is not insurmountable. By acting quickly and following our proven process, you can protect your property, preserve your financial future, and challenge unlawful IRS enforcement actions head-on.
Get pricing and more details here.
Contact us today to begin your review process and take the first step toward eliminating the lien against you.