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RIN ID: RIN 1545-BG24
TD ID: [TD 9344]
SUBJECT CATEGORY: Change to Office to Which Notices of Nonjudicial Sale and Requests for Return of Wrongfully Levied Property Must Be Sent
DOCUMENT SUMMARY: This document contains final and temporary regulations relating to the discharge of liens under section 7425 and return of wrongfully levied upon property under section 6343 of the Internal Revenue Code (Code) of 1986. These temporary regulations clarify that such notices and claims should be sent to the IRS official and office specified in the relevant IRS publications. The temporary regulations will affect parties seeking to provide the IRS with notice of a nonjudicial foreclosure sale and parties making administrative requests for return of wrongfully levied property. The text of the temporary regulations also serves as the text of the proposed regulations set forth in the notice of proposed rulemaking on this subject in the Proposed Rules section in this issue of the Federal Register. [[Page 39738]]
SUMMARY: Nonjudicial foreclosure sale and parties making administrative requests for return of wrongfully levied property; notification changes,
This document contains amendments to the Procedure and Administration Regulations (26 CFR part 301) relating to the giving of notice of nonjudicial sales under section 7425(b) of the Code. Final regulations (TD 7430) were published on August 20, 1976, in the Federal Register (41 FR 35174). This document also contains amendments to the Procedure and Administration Regulations relating to requests for return of wrongfully levied property under section 6343(b) of the Code. Final regulations (TD 8587) were published on January 3, 1995, in the Federal Register (60 FR 33).
For notices of nonjudicial foreclosure sale under Section 7425(b) and requests for return of property wrongfully levied upon under Section 6343(b), the existing regulations direct the notices and requests to be sent to the ``district director (marked for the attention of the Chief, Special Procedures Staff).'' The offices of the district director and Special Procedures were eliminated by the IRS reorganization implemented pursuant to the IRS Restructuring and Reform Act of 1998, Public Law 105206 (RRA 1998), creating uncertainty as to the timeliness of notices and requests under these provisions. Explanation of Provisions
Section 7425(b) provides for the discharge of a junior federal tax lien by a nonjudicial sale, if proper notice is provided to the IRS. Treas. Reg. Sec. 301.74252(a). Notice of a nonjudicial sale is required if notice of the federal tax lien has been properly filed more than 30 days before the nonjudicial sale. Section 7425(b)(1). A party holding a nonjudicial sale must provide written notification to the IRS at least 25 days prior to the scheduled sale of the property or the federal tax lien remains on the property after the sale. Section 7425(c)(1). When the notice is properly sent, and the federal tax lien discharged, the IRS may redeem the property within 120 days from the date of sale or any longer period allowed under state law. Section 7425(d). If the notice is not properly sent, the nonjudicial sale is made subject to and without disturbing the federal tax lien. Section 7425(b); Treas. Reg. Sec. 301.74252(a); Tompkins v. United States, 946 F.2d 817, 820 (11th Cir. 1991); Simon v. United States, 756 F.2d 696, 69798 (9th Cir. 1985).
Treas. Reg. Sec. 301.74253(a)(1) specifies that notice ``shall be given, in writing by registered or certified mail or by personal service * * * to the district director (marked for the attention of the chief, special procedures staff) for the Internal Revenue district in which the sale is to be conducted.'' The regulation further provides that such notice of sale is not effective if given to a district director other than the district director for the Internal Revenue district in which the sale is to be conducted.
In light of the IRS reorganization subsequent to RRA 1998, the district and special procedures offices referenced in the regulations no longer exist. Notices of sale, if addressed to an office other than that stated in the regulation, may be misdirected. As a result, the IRS office responsible for evaluating notices of nonjudicial sale may not receive notice of the sale and the IRS may not have the opportunity to timely redeem. In Glasgow Realty, LLC v. Withington, 345 F. Supp. 2d 1025 (E.D. Mo. 2004), the court held that the federal tax lien was discharged by a nonjudicial sale under section 7425(b) where the notice of sale was addressed to a local IRS taxpayer assistance center rather than the district director's office. Glasgow Realty demonstrates the confusion that resulted from attempts to comply with the current regulation in light of the IRS reorganization. An amendment is necessary to both assist the public so as to prevent further confusion on where to send notices of nonjudicial foreclosure sales, and to prevent the possible loss of proceeds that the IRS could acquire from redemptions if the proper office has timely notice of the sale.
Similar problems arise with respect to requests for return of wrongfully levied property under section 6343(b). Requests for the return of the amount of money levied upon or received from the sale of property must be filed within nine months from the date of the levy. Treas. Reg. Sec. 301.63432(a)(2). The nine month period for filing a wrongful levy suit is extended by the filing of a timely administrative claim. Section 6532(c).
As is the case with notices of nonjudicial sale, the regulations specify that the request for return of wrongfully levied property be addressed to the district director (marked for the attention of the Chief, Special Procedures Staff) for the Internal Revenue district in which the levy is made. Treas. Reg. Sec. 301.63432(b). The elimination of these offices by the IRS reorganization can similarly result in misdirected requests. An amendment is necessary to assist the public in filing timely requests with the proper office.
In order to account for the IRS's current organizational structure and to allow for future reorganizations of the IRS, the temporary regulations remove the title ``district director'' throughout Treas. Reg. Sec. Sec. 301.74253 and 301.63432. The title is not replaced with any specific official or office. Instead, the public is directed to refer to the current relevant IRS publications or their successor publications for where to send notices or claims. The temporary regulations provide the web address for the IRS Internet site which may be used to obtain copies of IRS publications. The current publications for nonjudicial foreclosure sales are IRS Publication 786, ``Instructions for Preparing a Notice of Nonjudicial Sale of Property and Application for Consent to Sale,'' and IRS Publication 4235, ``Technical Services (Advisory) Group Addresses.'' According to Publication 786, the application or notice should be addressed to the Technical Services Group Manager for the area in which the notice of federal tax lien was filed. Publication 786 then instructs the reader to use Publication 4235 to determine where to mail the request. Publication 4235 lists the addresses for the Technical Services offices. The current publication for requests for return of wrongfully levied property is IRS Publication 4528, ``Making an Administrative Wrongful Levy Claim Under Internal Revenue Code (IRC) Section 6343(b).'' According to Publication 4528, the claim should be marked for the attention of the Advisory Territory Manager for the area where the taxpayer whose tax liability was the basis for the levy or seizure resides. Publication 4528 then instructs the reader to use Publication 4235 to locate the mailing address for the appropriate Advisory Territory Manager.
These temporary regulations apply to any notice of sale filed or request for return of property made after August 20, 2007.
It has been determined that this Treasury decision is not a
significant regulatory action as defined in Executive Order 12866.
Therefore, a regulatory assessment is not required. For applicability
of the Regulatory Flexibility Act, please refer to the crossreference
notice of proposed rulemaking published elsewhere in this Federal
Register. Pursuant to section 7805(f) of the Internal Revenue Code, these regulations have been submitted to the
[[Page 39739]]
Chief Counsel for Advocacy of the Small Business Administration for comment on its impact on small business.
The principal author of these regulations is Robin M. Ferguson, Office of Associate Chief Counsel, Procedure and Administration (Collection, Bankruptcy and Summonses Division).
Employment taxes, Estate taxes, Excise taxes, Gift taxes, Income
taxes, Penalties, Reporting and recordkeeping requirements. Amendments to the Regulations
Accordingly, 26 CFR part 301 is amended as follows:
PART 301PROCEDURE AND ADMINISTRATION
Paragraph 1. The authority citation for part 301 continues to read in part as follows:
Authority: 26 U.S.C. 7805 * * *
Par. 2. Section 301.63432 is amended as follows:
1. Paragraphs (a)(1) introductory text and (b) introductory text are revised.
2. Paragraphs (a)(4), (c), (d)(1), and (d)(2) are amended by removing
the language ``director'' and adding the language ``IRS'' in its place wherever it appears.
3. Paragraph (b)(4), is amended by removing the language ``Internal
Revenue district'' and adding the language ``IRS office'' in its place. 4. Paragraph (e) is revised.
The revisions and addition read as follows:
Sec. 301.63432 Return of wrongfully levied upon property.
(a) * * * (1) [Reserved]. For further guidance, See Sec. 301.6343 2T(a) introductory text.
* * * * *
(b) [Reserved]. For further guidance, See Sec. 301.63432T(b) introductory text.
* * * * *
(e) [Reserved]. For further guidance, See Sec. 301.63432T(e). Par. 3. Section 301.63432T is added to read as follows:
Sec. 301.63432T Return of wrongfully levied upon property.
(a) Return of property (1) General rule. If the Internal Revenue
Service (IRS) determines that property has been wrongfully levied upon, the IRS may return
(a)(1)(i) through (a)(4) [Reserved]. For further guidance, see Sec. 301.63432(a)(1)(i) through (a)(4).
(b) Request for return of property. A written request for the
return of property wrongfully levied upon must be given to the IRS
official, office and address specified in IRS Publication 4528,
``Making an Administrative Wrongful Levy Claim Under Internal Revenue
Code (IRC) Section 6343(b),'' or its successor publication. The
relevant IRS publications may be downloaded from the IRS Internet site
at http://www.irs.gov. Under this section, a request for the return of
property wrongfully levied upon is not effective if it is given to an
office other than the office listed in the relevant publication. The written request must contain the following information
(b)(1) through (d)(2) [Reserved]. For further guidance see Sec. 301.63432(b)(1) through (d)(2).
(e) Effective/applicability date. This section applies to any
request for return of wrongfully levied property that is filed after August 20, 2007.
Par. 4. Section 301.74253 is amended as follows:
1. Paragraphs (a)(1), (b)(1), (b)(2), (c)(1), (d)(2), (d)(3), and (d)(4) are revised.
2. Paragraphs (a)(2)(i), (a)(2)(ii)(C), and (a)(2)(iii) Examples 1, 2,
and 3 are amended by removing the language ``district director'' and
adding the language ``IRS'' in its place wherever it appears.
3. Paragraph (d)(1)(ii)(A) is amended by removing the language
``internal revenue district'' and adding the language ``IRS office'' in its place.
4. Paragraph (e) is added.
The revisions and addition read as follows:
Sec. 301.74253 Discharge of liens; special rules.
(a) * * * (1) [Reserved]. For further guidance, See Sec. 301.7425 3T(a)(1).
* * * * *
(b) * * * (1) [Reserved]. For further guidance, See Sec. 301.7425 3T(b)(1).
* * * * *
(2) [Reserved]. For further guidance, See Sec. 301.74253T(b)(2).
(c) * * * (1) [Reserved]. For further guidance, See Sec. 301.7425 3T(c)(1).
* * * * *
(d) * * * (2) [Reserved]. For further guidance, See Sec. 301.7425 3T(d)(2).
(3) [Reserved]. For further guidance, See Sec. 301.74253T(d)(3).
(4) [Reserved]. For further guidance, See Sec. 301.74253T(d)(4).
(e) [Reserved]. For further guidance, See Sec. 301.74253T(e). Par. 5. Section 301.74253T is added to read as follows:
Sec. 301.74253T Discharge of liens; special rules.
(a) Notice of sale requirements(1) In general. Except in the case
of the sale of perishable goods described in paragraph (c) of this
section, a notice (as described in paragraph (d) of this section) of a
nonjudicial sale shall be given, in writing by registered or certified
mail or by personal service, not less than 25 days prior to the date of
sale (determined under the provisions of Sec. 301.74252(b)), to the
Internal Revenue Service (IRS) official, office and address specified
in IRS Publication 786, ``Instructions for Preparing a Notice of
Nonjudicial Sale of Property and Application for Consent to Sale,'' or
its successor publication. The relevant IRS publications may be
downloaded from the IRS Internet site at http://www.irs.gov. Under this
section, a notice of sale is not effective if it is given to an office
other than the office listed in the relevant publication. The
provisions of sections 7502 (relating to timely mailing treated as
timely filing) and 7503 (relating to time for performance of acts where
the last day falls on Saturday, Sunday, or a legal holiday) apply in
the case of notices required to be made under this paragraph.
(a)(2) [Reserved]. For further guidance, see Sec. 301.7425 3(a)(2).
(b) Consent to sale(1) In general. Notwithstanding the notice of
sale provisions of paragraph (a) of this section, a nonjudicial sale of
property shall discharge or divest the property of the lien and title
of the United States if the IRS consents to the sale of the property
free of the lien or title. Pursuant to section 7425(c)(2), where
adequate protection is afforded the lien or title of the United States,
the IRS may, in its discretion, consent with respect to the sale of
property in appropriate cases. Such consent shall be effective only if
given in writing and shall be subject to such limitations and
conditions as the IRS may require. However, the IRS may not consent to
a sale of property under this section after the date of sale, as
determined under Sec. 301.74252(b). For provisions relating to the
authority of the IRS to release a lien or discharge property subject to
a tax lien, see section 6325 and the section 6325 regulations.
(2) Application for consent. Any person desiring the IRS's consent
to sell property free of a tax lien or a title derived from the
enforcement of a tax lien of the United States in the property shall
submit to the IRS, at the office and address specified in the relevant
IRS publications, a written application, in triplicate, declaring that it is made
[[Page 39740]]
under penalties of perjury, and requesting that such consent be given.
The application shall contain the information required in the case of a
notice of sale, as set forth in paragraph (d)(1) of this section, and,
in addition, shall contain a statement of the reasons why the consent is desired.
(c) Sale of perishable goodS(1) In general. A notice (as
described in paragraph (d) of this section) of a nonjudicial sale of
perishable goods (as defined in paragraph (c)(2) of this section) shall
be given in writing, by registered or certified mail or delivered by
personal service, at any time before the sale, to the IRS official and
office specified in the relevant IRS publications, at the address
specified in such publications. Under this section, a notice of sale is
not effective if it is given to an office other than the office listed
in the relevant publication. If a notice of a nonjudicial sale is
timely given in the manner described in this paragraph, the nonjudicial
sale shall discharge or divest the tax lien, or a title derived from
the enforcement of a tax lien, of the United States in the property.
The provisions of sections 7502 (relating to timely mailing treated as
timely filing) and 7503 (relating to time for performance of acts where
the last day falls on Saturday, Sunday, or a legal holiday) apply in
the case of notices required to be made under this paragraph. The
seller of the perishable goods shall hold the proceeds (exclusive of
costs) of the sale as a fund, for not less than 30 days after the date
of the sale, subject to the liens and claims of the United States, in
the same manner and with the same priority as the liens and claims of
the United States had with respect to the property sold. If the seller
fails to hold the proceeds of the sale in accordance with the
provisions of this paragraph and if the IRS asserts a claim to the
proceeds within 30 days after the date of sale, the seller shall be
personally liable to the United States for an amount equal to the value
of the interest of the United States in the fund. However, even if the
proceeds of the sale are not so held by the seller, but all the other
provisions of this paragraph are satisfied, the buyer of the property
at the sale takes the property free of the liens and claims of the
United States. In the event of a postponement of the scheduled sale of
perishable goods, the seller is not required to notify the IRS of the
postponement. For provisions relating to the authority of the IRS to
release a lien or discharge property subject to a tax lien, see section 6325 and the regulations.
(c)(2) through (d)(1) [Reserved]. For further guidance, see Sec. 301.74253(c)(2) through (d)(1).
(d)(2) Inadequate notice. Except as otherwise provided in this
paragraph, a notice of sale described in paragraph (a) of this section
which does not contain the information described in paragraph (d)(1) of
this section shall be considered inadequate by the IRS. If the IRS
determines that the notice is inadequate, the IRS will give written
notification of the items of information which are inadequate to the
person who submitted the notice. A notice of sale which does not
contain the name and address of the person submitting such notice shall
be considered to be inadequate for all purposes without notification of
any specific inadequacy. In any case where a notice of sale does not
contain the information required under paragraph (d)(1)(ii) of this
section with respect to a Notice of Federal Tax Lien, the IRS may give
written notification of such omission without specification of any
other inadequacy and such notice of sale shall be considered inadequate
for all purposes. In the event the IRS gives notification that the
notice of sale is inadequate, a notice complying with the provisions of
this section (including the requirement that the notice be given not
less than 25 days prior to the sale in the case of a notice described
in paragraph (a) of this section) must be given. However, in accordance
with the provisions of paragraph (b)(1) of this section, in such a case
the IRS may, in its discretion, consent to the sale of the property
free of the lien or title of the United States even though notice of
the sale is given less than 25 days prior to the sale. In any case
where the person who submitted a timely notice which indicates his name
and address does not receive, more than 5 days prior to the date of
sale, written notification from the IRS that the notice is inadequate,
the notice shall be considered adequate for purposes of this section.
(3) Acknowledgment of notice. If a notice of sale described in
paragraph (a) or (c) of this section is submitted in duplicate to the
IRS with a written request that receipt of the notice be acknowledged
and returned to the person giving the notice, this request will be
honored by the IRS. The acknowledgment by the IRS will indicate the date and time of the receipt of the notice.
(4) Disclosure of adequacy of notice. The IRS is authorized to
disclose, to any person who has a proper interest, whether an adequate
notice of sale was given under paragraph (d)(1) of this section. Any
person desiring this information should submit to the IRS a written
request which clearly describes the property sold or to be sold,
identifies the applicable notice of lien, gives the reasons for
requesting the information, and states the name and address of the
person making the request. The request should be submitted to the IRS
official, office and address specified in IRS Publication 4235,
``Technical Services (Advisory) Group Addresses,'' or its successor
publication. The relevant IRS publications may be downloaded from the
IRS internet site at http://www.irs.gov.
(e) Effective/applicability date. This section applies to any notice of sale that is filed after August 20, 2007.
Kevin M. Brown,
Deputy Commissioner for Services and Enforcement.
Approved: July 11, 2007.
Eric Solomon,
Assistant Secretary of the Treasury (Tax Policy).
[FR Doc. E714053 Filed 71907; 8:45 am]
BILLING CODE 483001P
FOR FURTHER INFORMATION CONTACT Robin M. Ferguson, (202) 622-3610 (not a tollfree call).
14 CFR Part 39 40 CFR Part 52 14 CFR Part 71 33 CFR Part 165 26 CFR Part 1 50 CFR Part 679 40 CFR Part 180 47 CFR Part 73 33 CFR Part 117 50 CFR Part 17 44 CFR Part 67 50 CFR Part 648 14 CFR Part 97 33 CFR Part 100 40 CFR Part 63 26 CFR Part 301 50 CFR Part 622 39 CFR Part 111 50 CFR Part 660 44 CFR Part 65 40 CFR Parts 52 and 81 40 CFR Part 271 47 CFR Part 64 40 CFR Part 300 14 CFR Part 23 14 CFR Part 25 21 CFR Part 522 50 CFR Part 665 47 CFR Part 76 27 CFR Part 9