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How does the IRS determine whether a “collateral” to share in the taxpayer’s future income is needed as a part of the OIC?

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How does the IRS determine whether a “collateral” to share in the taxpayer’s future income is needed as a part of the OIC?

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The IRS considers the taxpayer’s age, earning capacity, education, health, profession and experience. Taxpayers should underplay these factors when presenting an offer. However, these agreements are rarely requested by the IRS as newer provisions in the Internal Revenue Manual seem to discourage collateral agreements.

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