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Action Plan: How to Resolve Audit Reconsideration in Louisiana
Facing audit reconsideration from the Louisiana Department of Revenue can be overwhelming, but the administrative tax code provides clear pathways to secure relief. Whether you seek a monthly payment plan, an offer in compromise, or temporary hardship relief, this step-by-step framework outlines how to stabilize your account.
Phase 1: Halt Enforced Collections
1. Request a Collection Stay: Reach out to the LDR collections division before the 30-day deadline passes. Request a temporary hold on bank levies and wage garnishments.2. Delinquent Tax Resolution: Immediately file any unfiled tax returns from past years. File compliance is mandatory before LDR will evaluate any resolution.
Phase 2: Compile Financial Evidence
1. Asset Analysis: List all assets and determine their net equity.2. Living Expense Alignment: Document your rent, utilities, and grocery costs. Align these with the localized allowance standards for Louisiana.
3. Justify Special Circumstances: Gather medical records or employment notices to justify any costs that exceed local allowances.
Phase 3: Submit Formal Relief Applications
1. Structured Installment Plan: Submit Form R-19021 to establish a monthly payment plan that matches your monthly budget.2. Hardship Relief: If paying the tax debt prevents you from affording basic living necessities, request a temporary Currently Not Collectible status.
3. Offer in Compromise: If your financial profile indicates you can never pay the debt before the 3-year collection statute expires under La. R.S. § 47:1580, submit a settlement package.
Phase 4: Finalize and Maintain Your Agreement
1. Respond Immediately to Requests: Send any requested financial records to the LDR examiner to avoid rejection.2. Review the Release Order: Verify that a formal release has been processed to your bank or employer.
3. Stay in Compliance: Never miss a future filing or payment deadline, as doing so will instantly void the agreement and expose you to renewed collections.
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Case Files: Resolving Audit Reconsideration in Louisiana
These detailed case files demonstrate the practical application of Louisiana collection guidelines and show how taxpayers can protect their assets from active LDR enforcement.
Case Study A: Stopping a Wage Garnishment Under Louisiana Law
An hourly employee in Louisiana had their wages garnished by the Louisiana Department of Revenue under La. R.S. § 13:3921 to collect a tax debt of $27,973. The garnishment was stripping 25% of their disposable pay from every check, leaving them unable to afford basic transportation to work.Their representative quickly contacted the collections unit, submitted Form R-19021, and proposed an installment plan of $495/month. Because a formalized payment plan was established and full filing compliance was achieved, LDR issued a formal wage release order to the employer, restoring the worker's full paycheck within one pay cycle.
Case Study B: Subordinating a State Tax Lien for Home Refinancing
A homeowner in Louisiana was prevented from refinancing their mortgage due to a state tax lien filed by the LDR for $27,973 in unpaid income taxes. The lender refused to approve the new loan unless the tax lien was cleared.The homeowner's representative prepared an administrative request for lien subordination, showing that refinancing would allow the homeowner to pull out cash equity to pay off $4,196 of the tax debt immediately. Recognizing that this would maximize collection potential, the agency approved the subordination, allowing the loan to close and the tax liability to be significantly reduced.
Frequently Asked Questions
How long do I have to file an Audit Reconsideration in Louisiana?
There is no strict statutory deadline for an Audit Reconsideration, unlike a formal appeal. You can generally request it at any time while the tax debt remains unpaid and the 3-year collection statute under La. R.S. § 47:1580 is still open.
Can I request reconsideration if I already paid the LDR assessment?
No. Audit Reconsideration is only for unpaid assessments. If you paid the tax in full, you must instead file a formal amended Louisiana tax return (a claim for refund) within the statutory refund window, usually three years from the due date.
Will Louisiana Department of Revenue reconsider my case if I just disagree with their interpretation of the law?
No. Audit Reconsideration is for introducing *new facts* or documentation (like discovered receipts). If you simply disagree with how LDR applied Louisiana tax law to the existing facts, that argument must be made in Tax Court, not reconsideration.
Does filing for reconsideration extend the Louisiana Department of Revenue collection statute?
No. Submitting an Audit Reconsideration does not formally toll (pause) the 3-year statute of limitations under La. R.S. § 47:1580. However, if you submit an Offer in Compromise concurrently, the OIC will toll the statute.
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