Loopholes > Federal > Stay of Sale of Seized Property
TIMING HIGH SAVINGS INDIVIDUAL|BUSINESS|INVESTOR

Stay of Sale of Seized Property

IRC §6863(b)(3)

Prevents the IRS from selling property seized under jeopardy assessments while a Tax Court petition is pending or before the deficiency notice period expires.

Eligibility

Applies to property seized under sections 6851, 6852, or 6861, provided the taxpayer files a timely Tax Court petition and the property is not perishable or excessively expensive to maintain.

Frequently Asked Questions

Who is eligible for the Stay of Sale of Seized Property?

Applies to property seized under sections 6851, 6852, or 6861, provided the taxpayer files a timely Tax Court petition and the property is not perishable or excessively expensive to maintain.

How does the Stay of Sale of Seized Property work?

Prevents the IRS from selling property seized under jeopardy assessments while a Tax Court petition is pending or before the deficiency notice period expires.

What law authorizes the Stay of Sale of Seized Property?

The Stay of Sale of Seized Property is authorized under IRC §6863(b)(3) of the Internal Revenue Code (Title 26, United States Code).

Statutory Text — IRC §6863

Source: Internal Revenue Code, Title 26, United States Code

§ 6863. Stay of collection of jeopardy assessments(a) Bond to stay collectionWhen an assessment has been made under section 6851, 6852, 6861 or 6862, the collection of the whole or any amount of such assessment may be stayed by filing with the Secretary, within such time as may be fixed by regulations prescribed by the Secretary, a bond in an amount equal to the amount as to which the stay is desired, conditioned upon the payment of the amount (together with interest thereon) the collection of which is stayed, at the time at which, but for the making of such assessment, such amount would be due. Upon the filing of the bond the collection of so much of the amount assessed as is covered by the bond shall be stayed. The taxpayer shall have the right to waive such stay at any time in respect of the whole or any part of the amount covered by the bond, and if as a result of such waiver any part of the amount covered by the bond is paid, then the bond shall, at the request of the taxpayer, be proportionately reduced. If any portion of such assessment is abated, the bond shall, at the request of the taxpayer, be proportionately reduced. (b) Further conditions in case of income, estate, or gift taxesIn the case of taxes subject to the jurisdiction of the Tax Court—(1) Prior to petition to Tax CourtIf the bond is given before the taxpayer has filed his petition under section 6213(a), the bond shall contain a further condition that if a petition is not filed within the period provided in such section, then the amount, the collection of which is stayed by the bond, will be paid on notice and demand at any time after the expiration of such period, together with interest thereon from the date of the jeopardy notice and demand to the date of notice and demand under this paragraph. (2) Effect of Tax Court decisionThe bond shall be conditioned upon the payment of so much of such assessment (collection of which is stayed by the bond) as is not abated by a decision of the Tax Court which has become final. If the Tax Court determines that the amount assessed is greater than the amount which should have been assessed, then when the decision of the Tax Court is rendered the bond shall, at the request of the taxpayer, be proportionately reduced. (3) Stay of sale of seized property pending Tax Court decision(A) General ruleWhere, notwithstanding the provisions of section 6213(a), an assessment has been made under section 6851, 6852, or 6861, the property seized for the collection of the tax shall not be sold—(i) before the expiration of the periods described in subsection (c)(1)(A) and (B), (ii) before the issuance of the notice of deficiency described in section 6851(b) or 6861(b), and the expiration of the period provided in section 6213(a) for filing a petition with the Tax Court, and

Showing first 3,000 characters of full section text.