

Common Cents: Why Tens of Millions of Taxpayers May Be Entitled to Refunds of COVID-Era IRS Penalties and Interest — And Why You Must Act Before July 10, 2026
By Nick Richardson and Val Devol | Devol and Associates - Oklahoma Tax Attorneys A recent decision out of the United States Court of Federal Claims, Kwong v. United States, 179 Fed. Cl. 382, (Nov. 2025), has quietly opened the door for what the National Taxpayer Advocate Service now estimates may be tens of millions of taxpayers to recover IRS penalties and interest assessed during the COVID-19 federal disaster period. The mainstream press has barely touched it. Most taxpay
ksalser5
7 hours ago7 min read






