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When the IRS issues a notice of deficiency, a timely petition to the United States Tax Court will be filed within 90 days of the date on the notice of deficiency. There can be no extension of this deadline, unless the taxpayer was out of the United States on the date of issuance, then the time limit is extended to 150 days.

Tax Court actions are actions in a court of law. Our attorneys are experienced to handle the legal action against the IRS. Martin A. Schainbaum is a former IRS trial attorney, who has extensive experience in successfully representing taxpayers.

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