Roll up your sleeves for this comprehensive, interactive workshop that reveals powerful strategies for successfully handling tax controversy cases and various IRS matters. Discover how to properly determine installment agreement amounts, compute Reasonable Collection Potential (RFP) for offers in compromise, dissect the financial disclosure package (Form 433-A), effectively represent clients before the IRS from first phone call to resolution, understand preparer penalty (Section 6694), analyze hot topics from Circular 230 including the dramatic reduction in contingent fee arrangements. Handouts include samples of OIC documents, penalty abatement and engagement letters, examination appeals, requests for third party contacts and FOIA, and completed IRS forms.