A recent case, United States v. JPMorgan Chase Bank, creates a very tight time frame for banks to react to a levy from the IRS and provides some insight on the process of the IRS collection efforts when it determines the collection of tax debt is in jeopardy.
The court determined that the bank did not move quickly enough to put a hold on the taxpayer’s account and held the bank liable when it allowed the taxpayer to withdraw funds shortly after the IRS served a levy upon the bank.
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Read more at: Tax Times blog