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Mesa Arizona Form 668(Z): What You Should Know

Notice of Payment of a Penalty, including notice. If you provide other forms, they are required to use the above Form 5.12.6 and include the following notice: “Form 668(Y)(c) has been prepared for the following individual for the payment of a penalty imposed by law in an amount equal to the applicable amount imposed for that payment.” If the lien arose because of a deficiency, you provide the Notice of Y for the payment of a deficiency (see IRM 5.21.3). For notices of additional penalties, see IRM, Penalty Assessment Notice for Additional Amounts. Notice of Lien Preparer — IRC Section 6511(e) IRC 6511(e)(2) provides the notice of a lien prepared pursuant to IRC Section 6511(e) to be sent to the Secretary of the Treasury. The notice must: • Identify the lien; • Specify any interest or penalties in arrears, if any, and the amount owing; and • Include the date and time the lien was prepared. Notice received by the Secretary of the Treasury (Treasury) may be delivered to the appropriate filing officer of the United States. See IRC 6511(e)(3), (4), and (5). (04-01-1996) Notice of Defaulted Release of Lien Notice of Defaulted Release of Lien If the lien was created as a result of delinquency or default in the payment of the tax, the Notice of Release of Lien should include the delinquency, default, or amount owing. The IRS determines whether the amount of the tax that is outstanding is sufficient to repay the entire original lien when a deficiency is recognized and taxes that are properly due are collected from taxpayers. If the tax required to be paid or recovered through a lien is insufficient and additional tax is not collected, the IRS will release a lien to any debtor. A notice of release may include: (01) An original copy of the tax return (IRM; (02) Proof that the tax was reported correctly with respect to the delinquent tax (IRM

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