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Alabama Form 1045: What You Should Know
S. Taxpayer, because §1016 provides that §1464(a) requires U.S. taxpayers to file only Form 1040(A), and because the Debtor was not an “employee” as the court stated in its opinion.” If your organization is unable to prepare and file Forms 1040 or 1040A, request a waiver from Form 1040 by contacting the U.S. Department of Labor's Office of Employment Policies and Programs at the following phone number: or e-mail: DOL.spsa-policiesdol.gov. Forms Archive If your organization did not file an Application for a Tentative Refund, you should contact the U.S. Department of Labor's Office of Employment Policies and Programs at the following phone number: or e-mail: DOL.spsa-policiesdol.gov. “See also “If I am a United States taxpayer” in the next section to learn about the tax consequences of receiving a Notice to Pay or not. What Happened in the Background The case started with the Debtor's failure to file a 2025 Form 1040 on time and paying an interest penalty at the start of calendar year 2011. The IRS assessed the interest penalty on April 12, 2013”, a full one year before the Due Diligence deadline. The Debtor filed a petition for dismissal on May 23, 2013. The United States Department of Justice (DOJ) filed a lawsuit against the Debtor on July 1, 2013”, four weeks before the due diligence deadline. The DOJ lawsuit was withdrawn before the Due Diligence deadline but the U.S. tax courts eventually entered summary judgment for the IRS. On August 14, 2014, the IRS filed an amended lawsuit against 14,000 in back taxes (1,500 in interest and penalties) and interest on the original penalty amount (approximately 14,000)” against the Debtor and two subsidiaries.
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