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The July 10th Refund Deadline You Didn't See Coming

date
April 21, 2026
|
1:00 pm
Credit
2 Free NY & NJ CLE, CPE and IRS CE/NASBA CPE Credits
Description

Kwong & Abdo: Recovering Pandemic-Era Tax Penalties and Interest

This Program Teaches You How to Turn COVID-Era IRS Payments Into Refund Claims

Two landmark decisions — Kwong v. United States (2025) and Abdo v. Commissioner (2024) — have fundamentally changed the treatment of federal tax penalties and interest during the COVID-19 disaster period.

The takeaway is simple, but powerful:

From January 20, 2020 through July 10, 2023, federal tax penalties and interest were mandatorily suspended under IRC § 7508A(d). That means many taxpayers overpaid — and those amounts may now be recoverable.

The clock is ticking: For most taxpayers, the refund claim deadline is July 10, 2026.

If you represent clients who paid penalties or interest during this period, this is not optional knowledge — it is an actionable opportunity.

What You Will Learn

This program provides a complete, practitioner-ready framework to:

- Identify clients eligible for penalty and interest refunds

- Apply the holdings of Kwong and Abdo with confidence

- Compute refund amounts using IRS transcripts and AI tools

- Prepare and file Form 843 claims correctly and defensibly

-Navigate examination, appeals, CDP, and Tax Court implications

-Incorporate advanced strategies including:

  • IRC § 6404(e) interest abatement
  • § 6603 deposits to stop interest accrual
  • Overpayment interest claims under the Fleisher theory
  • Address multi-year and cumulative claims strategies
  • Evaluate state-level considerations (including NY and NJ)

What Makes This Program Different: This is not a theoretical discussion. This is a complete implementation system.

Attendees receive a fully developed toolkit that takes them from:

“I think this applies” → “I filed the claim.”

This webinar is available for Virtual or LIVE In-Person attendance.

The LIVE class will be held at: TBD

Tax Professionals that attend are encouraged to accept a pro bono tax controversy case assignment from NYCLA, an ABA-sponsored Tax Court Pro program or a NY or NJ low-income Tax Clinic.

IRS Program #: 7Q3WU-T-00882-26

Price
Free
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Meet Your Speakers

Frank Agostino

,

Esq.

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