Tens of millions of taxpayers may be eligible for refunds from the IRS related to penalties and interest charged during the COVID-19 pandemic. This potential stems from court rulings, including Kwong v. United States, which interpreted tax law to automatically extend filing and payment deadlines. Taxpayers who paid late or filed late between January 20, 2020, and July 10, 2023, and were charged penalties or interest may qualify. To claim a refund, individuals generally need to file IRS Form 843 by July 10. AI
排序理由 This article discusses a significant legal ruling and subsequent legislative action impacting a large number of taxpayers and potential IRS refunds. [lever_c_demoted from significant: ic=1 ai=0.1]
- Abdo v. Commissioner
- Chevron doctrine
- COVID-19
- Disaster Related Extension of Deadlines Act
- Erin M. Collins
- IRS Form 843
- Kwong v. United States
- Loper Bright Enterprises v. Raimondo
- U.S. Court of Federal Claims
- National Taxpayer Advocate
- U.S. Tax Court
- FEMA
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