
How Kwong Rewrites IRS Deadlines and Unlocks Refunds
A recent federal court decision holds that COVID‑era tax deadlines were mandatorily suspended under IRC §7508A(d). As a result, interest and penalties assessed during the disaster period may have been improperly charged.
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Apr 082:00 pm-2:30 pm ET Online
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The ruling also extends the window for filing refund claims and refund suits – potentially through July 10, 2026. This webinar explains who may be eligible, what amounts are at stake, and how to act before the window closes.
Attend this webinar to:
- Understand how the Kwong decision suspends COVID‑era IRS deadlines under IRC §7508A(d).
- Identify who may qualify for refunds of COVID‑era interest and penalties.
- Recognize key deadlines and actions needed to pursue refunds before the window closes.
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Join us to learn who may be eligible, what amounts are at stake, and how to act before the window closes.