The legal landscape for federal taxes has shifted, creating a major opportunity for a total recovery of IRS charges. The decision in Kwong v. United States established that the IRS was required to disregard the pandemic period when calculating tax liabilities. Consequently, the accrual of all interest and penalties from early 2020 through mid-2023 was legally unauthorized.Whether these charges stemmed from underpayments, late filings, or any other tax adjustment, the law now supports a full refund of those specific amounts. This ruling affects millions of taxpayers who saw their balances grow due to interest and penalties during the national disaster window. Because of strict statutory deadlines, acting within the next 60 days is the most effective way to protect your claim. Contact us to find out how to secure a refund for all interest and penalties assessed during this period.
Learn more about pursuing this refund by visiting www.BusinessGPSLLC.com.
Read the original article here: https://dailybusinessjournal.com/2026/04/08/full-interest-and-penalty-recovery-under-the-kwong-decision/