Catching the Internal Revenue Service for Failing to Follow Administrative Procedures by Means of Postal Records

POSTED BY Donna McCarty on Feb 9 under Uncategorized

If you bought my IRS Lien Thumper and IRS Terminator packages you would have been able to use the Freedom of Information Act requests (FOIA) to request postal records respecting the Certified mailings of Notices of Lien mandatory by 26 USC § 6320 and Final Notices of Intent to Levy required by 26 USC § 6330. Those requests are for a Postal record, that the Internal Revenue Manual says is supposed to be signed by a Postal worker, and is required to be kept in its hard copy form by the Internal Revenue Service for ten years. When the IRS  neglects to adhere to administrative procedures they must release, or more technically, withdraw their liens or refund levied funds. The IRS Lien Thumper and IRS Terminator packages discuss this strategy in more detail. You can purchase both of those packages together at a significant discount.

If the hearing requester can demonstrate that the IRS  did not comply with every one of their administrative steps it can be conducive to winning a Collection Due Process Hearing that can suspend collection activities and stave off the implementation of an IRS levy against funds in a financial institution or paycheck, as is discussed in more detail in the free videos at www.irsterminator.com.

Persons who have asked for Postal record FOIAs from the Internal Revenue Service have  received two different responses at this point: 1) They have failed to provide the record; 2) They have provided a record that looks to have been made-up. When they provide a record that appears to have been fabricated is when a FOIA to the Postal Service becomes vital to determine the trueness of the record.

The Postal Service desires that FOIAs be mailed to the custodian of the records. The custodian is the head of the postal facility where the information is maintained. In most instances, it will be a postmaster. To me this means that my customers will have to determine where the IRS placed the Certified mail in the mail and their FOIA request will be going to the postmaster at that facility. A search at the US Postal Service’s website to ascertain the exact location of the facility should prove fruitful. The FOIA Act itself specifies that the envelope containing your request declare that it is a “Freedom of Information Act Request” on the outside.

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