Taxpayers who paid IRS penalties or underpayment interest during the COVID years may now qualify for refunds under the Kwong v. United States ruling. Learn who may qualify and why the July 10, 2026 deadline is important.
Author: Elite Consulting, P.C. | | Categories: 2026 Tax Changes , COVID tax penalties , CPA Insights , CPA Tips , IRS campaign , IRS Penalties , IRS penalty refund , IRS Rules 2026 , IRS Tax Changes , IRS Tax Collection , IRS Tax Refunds , IRS Tax Tips , Kwong v United States , Tax Law Changes , Tax Planning , Tax Policy Changes , Tax Reform Updates , Tax Refunds 2026
Taxpayers who paid IRS penalties or underpayment interest during the COVID years may now qualify for refunds under the Kwong v. United States ruling. Learn who may qualify and why the July 10, 2026 deadline is important.
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