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This is a 30 day notice, please enter the date of your notice so we can help you determine how much time you have left to pay
You have [days number] days remaining to remit payment.
Please send payment immadiately or contact the IRS at 1-877-777-4778
You are [days number] late to remit payment.
Please send payment immadiately or contact the IRS at 1-877-777-4778
This letter is issued by the Appeals Office of the IRS acknowledging they received your withdrawal request for a Collection Due Process (CDP) or Equivalent Hearing (EH).
This notice or letter may include additional topics that have not yet been covered here. Please check back frequently for updates.
Appeals has received your CDP or EH withdrawal request because you have reached a resolution or agreement with the Internal Revenue Service regarding the tax periods on the CDP/EH hearing request or you are satisfied that you no longer need a hearing with the Office of Appeals. By submitting this form, you withdraw your hearing for lien, levy, or both.
By withdrawing a CDP request, Appeals will not verify that all legal and administrative requirements were met for the periods listed on the original appeal request. You will also give up your right to go to the U.S. Tax Court. When the CDP is withdrawn, levy action is no longer suspended and the Collection Statute Expiration Date (CSED) is no longer suspended.
By withdrawing an EH the IRS will not make a decision or determination on your hearing request however you are not giving up any other appeal rights you may be entitled to, such as an appeal under the Collection Appeals Program (CAP).
You have a balance owed on our tax account. The IRS has either issued you a notice of intent to levy with appeal rights or filed a Notice of Federal Tax Lien (NFTL). You have exercised your appeal rights and either made a timely request for Collection Due Process CDP or made a request for a Collection Due Process (CDP) hearing after the due date for a timely hearing and you were entitled to an Equivalent Hearing (EH) within the 1-year period with the Appeals Office of the IRS.