IRS Extends Mediation Program.
Announcement 2001-9; 2001-1 C.B. 357
- Institutional AuthorsInternal Revenue Service
- Cross-ReferenceFor a summary of Announcement 98-99, 1998-46 IRB 34, see Tax Notes,
- Subject Areas/Tax Topics
- Index Termsdispute resolution, mediationtax administration
- Jurisdictions
- LanguageEnglish
- Tax Analysts Document NumberDoc 2000-33671 (2 original pages)
- Tax Analysts Electronic Citation2000 TNT 245-6
Announcement 2001-9
[1] Summary: This document extends the test of the mediation procedure set forth in Announcement 98-99, 1998-2 C.B. 650, for an additional one-year period beginning on January 16, 2001, the date this Announcement is published in the Internal Revenue Bulletin.
[2] The mediation procedure allows taxpayers, in certain cases that are already in the Appeals administrative process and that are not docketed in any court, to request mediation of one or more issues as a dispute resolution technique. Under the procedure, the taxpayer and Appeals attempt to negotiate a settlement, assisted by an objective and neutral third party who has no authority to impose a decision.
[3] Background: Announcement 98-99, which contains the procedures that taxpayers may use to request mediation, applies to factual issues involving an adjustment of $1 million or more that are already in the Appeals administrative process. A two-year test of the mediation procedure concluded on November 15, 2000.
[4] As Appeals transitions to its modernized structure, it is considering proposals to expand its alternative dispute resolution (ADR) processes. After this review is completed, Appeals plans to promulgate guidance expanding the mediation program as provided for under section 7123(b)(1) of the Internal Revenue Code.
[5] Changes: To meet the goals of the Service's restructuring, Appeals has reorganized its staffing. Therefore, position and office titles in Announcement 98-99 are substituted as follows, along with an updated mailing address for Headquarters Appeals:
Old New
___ ___
National Director of Appeals Chief Appeals
Assistant Regional Director of Area Director
Appeals (ARDA-LC) Appeals Team Manager
Appeals Associate Chief Appeals Team Case
Appeals Team Chief
Leader
OFFICIAL TITLE/ADDRESS CHANGES
Old New
___ ___
National Director of Appeals Chief Appeals
901 D Street, SW 1099 14th Street, NW
Box 68 Suite 4200 - East
Washington, DC 20024 Washington, DC 20005
Attn: C:AP:ADR & CS, Room 236 Attn: Appeals LMSB
Operations
National Office Appeals Headquarters Appeals
Appeals Region Appeals Area
Office of Alternative Dispute Appeals LMSB Operations
Resolution and Customer
Service Programs
[6] In addition to the above changes, responsibility for the management of the Appeals mediation program has been transferred from the Office of Alternative Dispute Resolution and Customer Service Programs to Appeals LMSB Operations.
[7] Effective Date: This Announcement extends the test of the mediation procedure set forth in Announcement 98-99, for an additional one-year period beginning on January 16, 2001, the date this Announcement is published in the Internal Revenue Bulletin.
[8] Drafting Information: The author of this announcement is Sandy Cohen, Appeals LMSB Operations, Headquarters Appeals. For further information regarding this announcement, call Mr. Cohen at (202) 694-1818 (not a toll-free number).
- Institutional AuthorsInternal Revenue Service
- Cross-ReferenceFor a summary of Announcement 98-99, 1998-46 IRB 34, see Tax Notes,
- Subject Areas/Tax Topics
- Index Termsdispute resolution, mediationtax administration
- Jurisdictions
- LanguageEnglish
- Tax Analysts Document NumberDoc 2000-33671 (2 original pages)
- Tax Analysts Electronic Citation2000 TNT 245-6