• Skip to main content
  • Skip to primary sidebar
  • Skip to footer

Pridgeon & Zoss, PLLC

Just another WordPress site

  • Home
  • Firm Overview
    • Review Us
  • Meet Our Attorneys
  • Tax Law Services
    • CP504 Notice in MN
  • Professional Referrals
  • Our Required Retainer Deposit & Fees
  • Blog
  • Contact Us
Home / Back Taxes Or Tax Debt / What not to do with an offer in compromise for the IRS
  • Home
  • Firm Overview
    • Review Us
  • Meet Our Attorneys
  • Tax Law Services
    • CP504 Notice in MN
  • Professional Referrals
  • Our Required Retainer Deposit & Fees
  • Blog
  • Contact Us
Call
Contact
Blog

What not to do with an offer in compromise for the IRS

Even Hollywood’s elite find the Internal Revenue Service (IRS) a tough adversary. The most recent to learn this lesson: Hollywood movie star Wesley Snipes.

A bit of history, not Wesley Snipes’ first battle over taxes: The actor, famous for starring roles in Blade, Demolition Man and White Men Can’t Jump, has a bit of history battling the IRS. In 2008, the government successfully pursued criminal charges for failure to file tax returns. The conviction resulted in a jail sentence, served at a minimum-security facility.

Current battle, another loss: The IRS now claims the actor owes $23.5 million in back taxes. This finding is a result of the agency looking back into Mr. Snipes’ for more than a decade. Part of the issue arose from poor tax advice. The actor took the advice of an accountant and anti-tax advocate that claimed Mr. Snipes was not legally required to pay taxes. This was false, and the IRS mounted a successful claim against the accountant for multiple tax crimes including providing this type of faulty advice.

Mr. Snipes sought a Collection Due Process hearing to resolve his tax obligations with the IRS. He presented an offer in comprise of approximately 4 percent of his tax bill. The IRS refused. The agency stated it believed the actor could pay his debt and that he was hiding funds in various shell companies. Mr. Snipes took the IRS to court, claiming the agency had abused its discretion. Ultimately, the Tax Court held in favor of the IRS noting the actor was not cooperative with the agency in its attempts to track down all of his assets.

Lessons for anyone facing a large tax bill, options are available: This case shows that structuring an offer in compromise is not an easy task. The IRS does not approve every offer it receives and, most importantly, frowns upon those who try to hide assets while making an offer. As a result, such an offer must be structured and presented wisely. An attorney experienced in these matters can help.

On Behalf of Pridgeon & Zoss, PLLC Nov 07 2018 Back Taxes Or Tax Debt

Primary Sidebar

Do Not Delay Responding to a Tax Notice

Name(Required)

Practice Areas

Tax Disputes

  • Tax Litigation
  • Audits
  • Tax Appeals
    • Appealing a Levy Action

Business & Payroll Taxes

  • Trust Fund Assessments
  • Complying with Sales and Use Tax Laws

Self-Employed

  • No Taxes Withheld

Outstanding Balances

  • IRS Collections and Currently Not Collectible Status
  • Settlement Options
    • Offers in Compromise
    • Installment Agreements

Latest Blogs

5 Things to Do if You Get Audited in Minnesota

March 27, 2023

What is a Trust Fund Recovery Penalty?

January 31, 2023

A Guide to the Minnesota Tax Appeal Process

January 27, 2023

The Secret to Successful Self-Employment

October 19, 2022

Things You Should Expect Being Self-Employed in Minnesota

October 13, 2022

Footer

Edina Tax Law Office

4951 W 77th Street, Box 11
Edina, MN 55435

Telephone: 952-835-8320

Fax: 612-682-4711

Roseville Tax Law Office:

1915 Hwy 36 West, Box 3
Roseville, MN 55113

Telephone: 612-455-8948

Pridgeon & Zoss, PLLC provides legal counsel for clients in Minnesota and Western Wisconsin

© 2025 Pridgeon & Zoss, PLLC. All Rights Reserved.

Disclaimer | Site Map | Privacy Policy