Establishing Financial Disability: The Critical Role of Authorized Representatives in Goldman v. United States
For tax professionals representing clients seeking refunds outside the standard statutory window, Internal Revenue Code Section 6511(h) offers a narrow path for relief through "financial disability." However, the mere existence of a medical condition is often insufficient to toll the statute of limitations. As the Court of Federal Claims recently illustrated in Goldman v. United States, No. 1:24-cv-01920 (Fed. Cl. 2026), the presence of an authorized representative can negate a claim of financial disability. This article examines the court’s rigorous application of the "authorized person" exception and the substantiation requirements of Revenue Procedure 99-21.
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