Navigating the Boundaries of IRC § 7433: Key Lessons from Hanna v. IRS
A recent Order from the United States District Court for the Southern District of California in the case of Rimon Hanna v. Internal Revenue Service (IRS), Case No.: 3:24-cv-00515-RBM-KSC, provides a relevant reminder regarding the strict limitations of suing the government for damages under Internal Revenue Code (IRC) § 7433. This case, involving a pro se taxpayer challenging IRS actions related to amended returns and resulting balances, was dismissed by the Court for lack of subject matter jurisdiction and failure to state a claim. The Order highlights critical distinctions between tax assessment and collection activities and reinforces the principle of sovereign immunity.
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