IRS Notice · Letter 525 / 915
A Letter 525 or 915 is the examination report at the end of an audit, with a 30 day window to appeal. It is your chance to challenge the findings through IRS Appeals before the IRS issues a formal notice of deficiency.
The short version. A Letter 525 or 915 sends you the examiner findings and proposed changes from an audit, and gives you 30 days to respond. This is your window to appeal to IRS Appeals, an office independent of the examiner. If you do not respond, the IRS moves toward a statutory notice of deficiency, the 90 day letter, which is harder to work with.
The appeal right here is administrative and flexible, and it comes before the rigid 90 day court deadline. Using it is usually easier than what comes next.
IRS Appeals is separate from the examiner who proposed the changes, and its job is to weigh the hazards of litigation and settle cases. Many exam disputes are resolved at Appeals without ever reaching Tax Court. Responding within the 30 days is what keeps that door open, so the date on the letter matters.
Decide whether you agree, and if not, protect your appeal window. Each step is part of the normal exam response.
The Appeals window after an exam is easier to work with than the 90 day letter that follows it. Send your case in for a free review and we will tell you whether to appeal and how.
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These are the controlling Internal Revenue Code sections and Internal Revenue Manual parts. Links go to the live IRS.gov pages so you can confirm every point yourself.
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An exam appeal window is short. Send the short version and we will tell you whether to appeal, what to send, and whether to handle it yourself or hand it to a professional.
Educational review only. We do not promise any outcome, and submitting this form does not create a professional relationship.
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