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Form 13909 Oklahoma City Oklahoma: What You Should Know
This revocation will take effect on November 1st 2020.” Dec 1, 2020— If the IRS finds any wrongdoing by Higher Plain Baptist Church, it may revoke its tax-exempt status in Oklahoma or Texas. The revocation of its tax-exempt status will take effect on November 1st 2020. Nov 1, 2025 — On Friday, October 30th, Higher Plain Baptist Church in Oklahoma City against Higher Plain Baptist Church (form 13909) with the IRS, “I hereby consent to the Secretary of the IRS' determination to revoke the tax-exempt status of The Higher Plain Baptist Church of Plano, Texas. This revocation will take effect on November 1st 2024.” December 1, 2025 — If the IRS finds no wrongdoing by Higher Plain Baptist Church, it may revoke its tax-exempt status in Oklahoma or Texas. The revocation of its tax-exempt status will take effect on November 1st 2024. November 1, 2025 — It may also revoke the tax-exempt status of Higher Plain Baptist Church in Plano, Texas. The revocation will take effect on November 1st 2026. How do I request a copy of the document(s) I filed? In the case that you are unable to access the document(s) you filed (because, for example, it is hard to understand it, or they have been uploaded to a website that does not allow for viewing or copying, or the document(s) contains the following words of disclosure: “Not for Attachment”, “Not for Refusal” or “Not for Disposition In Application of Subsection(s) of 35 U.S.C. Section 1125(b), or such other words as the Secretary of the Treasury may prescribe”), you may request a copy from your local U.S. Postal Service branch. You may request your return receipt within 20 days of completing your tax return. We will mail you a return receipt for your request within 60 days of your filing. What information should I include in my written complaint letter? You may omit some or any of the information in your complaint letter, but it is important to provide the information needed to resolve your problems with the organization, if necessary. When possible, provide specific case-specific facts that are useful to the IRS or the court in assessing the tax penalty.
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