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Form 1099-C Port St. Lucie Florida: What You Should Know
C.U.S.T Feb 12, 2012. — On January 14, 2011, on or about February 6, 2011, an individual or entity with a place of business in the State of Florida, was served with a Notice of Federal Tax Lien pursuant to Section 3(a)(8) of the Bankruptcy Code. The notice alleged: 1) An unpaid balance due or due within one year of a judgment. 2) That the debtor failed to pay the judgment within one year after service of the notice of Federal tax lien. 3) That the taxpayer had not been given the opportunity to cure the failure to pay. 4) That the unpaid balance owed or due at the time of the service of the notice should be refunded or credited to an account of which the taxpayer has an account in the Bankruptcy Court. The Notice of Federal Tax Lien was served on. The individual or entities listed above. An agent for the debtor, who was identified as the same agent of the debtor as was the agent of. The debt as a result of the alleged Federal tax lien. 3. The Notice of Federal Tax Lien did not state the basis for its assessment; nor, in the present case, to what amount, if any, it was to be assessed; nor, in the present case, whether the amount had been previously paid or credited to an account of which the taxpayer had an account at the time of the alleged violation of the Bankruptcy Code, or, in the event that the taxpayer had a separate account, to what account the federal tax lien was due. The Notice of Federal Tax Lien included a statement that it was issued pursuant to a Federal law in effect on the date of service. The alleged failure to pay the federal tax lien. The failure to be permitted to cure the failure to provide any explanation, or any basis for the alleged failure, or the failure to give the debtor the opportunity to cure the failure or to offer any explanation as provided for under the Bankruptcy Code. The Notice of Federal Tax Lien alleged that the failure to pay the tax lien constituted a “debt” for purposes of Section 101(5) of the Bankruptcy Code, and was subject to the discharge provisions of Section 101(5) of the Bankruptcy Code. The Notice of Federal Tax Lien was dated January 10, 2011, and was served on. The individual or entities listed above.
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