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8. Under what circumstances can the taxpayer file a claim for refund after the statute of limitations for assessment has expired where the IRS must
8. Under what circumstances can the taxpayer file a claim for refund after the statute of limitations for assessment has expired where the IRS must consider the claim? If the taxpayer files such a claim for refund, is the IRS limited to only adjusting the issue(s) raised in the claim for refund? Are there any limitations placed on the IRS in so far as the total amount of adjustments it can propose to the claim for refund?
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