Job Description
I am seeking an experienced tax attorney (preferably with federal tax controversy and IRS dispute experience) to evaluate and pursue potential refunds and penalty abatements related to COVID-era tax filings (2019–2022). Recent legal developments (including Kwong v. United States) suggest that federal tax deadlines may have been required to be extended throughout the pandemic under IRC Section 7508A. Based on this, I may be eligible for refunds of penalties and/or interest previously assessed and paid. Scope of Work: Review my tax filings for years 2019–2022 Identify eligibility for: Failure-to-file penalties Failure-to-pay penalties Interest charges Prepare and file appropriate claims, which may include: Form 843 (Claim for Refund and Request for Abatement) Amended returns (if applicable) Supporting legal arguments referencing disaster relief provisions Advise on likelihood of success and strategy if the IRS contests or appeals Handle correspondence or escalation with the IRS if needed Ideal Candidate: U.S. licensed tax attorney Strong background in IRS controversy, audits, or refund claims Familiarity with IRC Section 7508A, disaster relief provisions, or COVID-era tax relief Experience filing penalty abatement and refund claims Bonus: Experience with recent litigation or arguments related to pandemic deadline extensions Additional Details: Time-sensitive: Filing deadline for claims may be July 10, 2026 Open to fixed fee, hourly, or contingency-based arrangements Please include relevant experience and any similar cases handled Goal: Maximize recovery of any eligible penalties, interest, or overpayments while ensuring compliance and strong legal positioning. PLEASE ONLY APPLY IF YOU HAVE EXPERIENCE IN GETTING THINGS LIKE THIS DONE IVE INCURRED THOUSANDS IN FEES AND PENALTIES... SEE ARTICLE ABOVE.