When Exam or Collection gets it wrong, Appeals is often your best shot at a fair outcome, but only if you pick the right path and file it the right way. This in-depth masterclass covers the full Appeals process, from the Taxpayer First Act and your client’s actual right to appeal, to CAP, CDP, equivalent hearings, TFRP protests, and lesser-known venues like Fast Track Settlement and Post-Appeals Mediation. Using real case examples and a sample formal protest, you’ll learn how Appeals weighs hazards of litigation, what it will and won’t consider, and how to walk into the conference prepared to settle.
Key Takeaways:
- Choose the right appeal path (CAP, CDP, equivalent hearing, or formal protest) and know which ones protect your client’s Tax Court rights.
- Meet critical deadlines and prepare formal protests that satisfy Publication 5 and hold up in Appeals.
- Use hazards-of-litigation settlements, case file access, and new evidence strategically to improve outcomes.
- Know your options when Appeals says no, including Tax Court, mediation, and other alternative venues.











