Civil damages for failure to release lien

United States Code

Section: 7432

Jurisdiction: US

Bluebook Citation: 26 U.S.C. § 7432


Citation analytics

How this statute sits in the citation network, derived from CiteLaw's graph of published opinions.

Landmark AuthorityTop 1% most-cited · cited by 175 decisions
175
Citing decisions
6+
Courts citing

Citations by decade

1
58
42
36
38
1980s1990s2000s2010s2020s

Courts citing this statute

9th Cir.19
Fed. Cl.18
10th Cir.7
5th Cir.7
D.D.C.7
11th Cir.6
Most recently cited by10
  • 2026Cole D. Ariz.
  • 2025Cowden E.D. Mo.
  • 2025(PS) Singh v. IRS E.D. Cal.
  • 2025Gerstenberger v. Internal Revenue Service D. Haw.
  • 2025Coleman v. Internal Revenue Service D. Maryland
  • 2024Friedmann v. Internal Revenue Service W.D. Wash.
  • 2024Choina v. Ohio Department of Taxation S.D. Ohio
  • 2023Sidhu v. Wright E.D. Cal.
  • 2023Guancione v. Internal Revenue Service N.D. Cal.
  • 2023Long v. United States D. Utah

Counts reflect decisions in the CiteLaw corpus and may lag very recent opinions.


Text

If any officer or employee of the Internal Revenue Service knowingly, or by reason of negligence, fails to release a lien under section 6325 on property of the taxpayer, such taxpayer may bring a civil action for damages against the United States in a district court of the United States. actual, direct economic damages sustained by the plaintiff which, but for the actions of the defendant, would not have been sustained, plus the costs of the action. Claims pursuant to this section shall be payable out of funds appropriated under section 1304 of title 31, United States Code. A judgment for damages shall not be awarded under subsection (b) unless the court determines that the plaintiff has exhausted the administrative remedies available to such plaintiff within the Internal Revenue Service. The amount of damages awarded under subsection (b)(1) shall be reduced by the amount of such damages which could have reasonably been mitigated by the plaintiff. Notwithstanding any other provision of law, an action to enforce liability created under this section may be brought without regard to the amount in controversy and may be brought only within 2 years after the date the right of action accrues. The Secretary shall by regulation prescribe reasonable procedures for a taxpayer to notify the Secretary of the failure to release a lien under section 6325 on property of the taxpayer. In any action brought under subsection (a), upon a finding of liability on the part of the defendant, the defendant shall be liable to the plaintiff in an amount equal to the sum of— (Source: (Added Pub. L. 100–647, title VI, § 6240(a), Nov. 10, 1988, 102 Stat. 3746.))

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