IRS Bypassing The POA?
2026-06-04 · 10 min · 9 entities
Asserted relationships
-
0.55
evidence rules-v5
Feed author/publisher: Eric L. Green
-
0.40
evidence rules-v5
Feed category: Business
-
0.40
evidence rules-v5
Feed category: Management
-
0.40
evidence rules-v5
Feed author/publisher: Eric L. Green, Esq. - National Speaker and Author
Entities found in this episode
companys 3
-
0.50
evidence rules-v5
Feed category: Business
-
0.40
evidence rules-v5
Feed category: Business
-
0.40
evidence rules-v5
Feed author/publisher: Eric L. Green, Esq. - National Speaker and Author
websites 3
-
0.50
evidence rules-v5
Feed category: Management
-
0.40
evidence rules-v5
Feed category: Management
-
0.35
evidence rules-v5
IRS
persons 2
-
0.70
evidence rules-v5
Feed author/publisher: Eric L. Green
-
0.55
evidence rules-v5
Feed author/publisher: Eric L. Green
concepts 1
-
0.35
evidence rules-v5
POA
Episode description as stored
Can the IRS just ignore the taxpayer's Power of Attorney (POA) and contact the taxpayer directly? No, unless specific criteria are met. In this week's episode, Eric Green discusses why that threat from the IRS employee is probably empty, and what to do if they do in case they bypass you and go directly to your client.