Frequently Asked Questions
Who is eligible for the Civil Damages for Failure to Release Lien?
Requires exhaustion of administrative remedies within the IRS and a filing within 2 years of the right of action accruing.
How does the Civil Damages for Failure to Release Lien work?
Taxpayers may recover actual, direct economic damages and costs if the IRS knowingly or negligently fails to release a lien on property under section 6325.
What law authorizes the Civil Damages for Failure to Release Lien?
The Civil Damages for Failure to Release Lien is authorized under IRC §7432 of the Internal Revenue Code (Title 26, United States Code).
Statutory Text — IRC §7432
Source: Internal Revenue Code, Title 26, United States Code
§ 7432. Civil damages for failure to release lien(a) In generalIf 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.
(b) DamagesIn 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—(1) actual, direct economic damages sustained by the plaintiff which, but for the actions of the defendant, would not have been sustained, plus
(2) the costs of the action.
(c) Payment authorityClaims pursuant to this section shall be payable out of funds appropriated under section 1304 of title 31, United States Code.
(d) Limitations(1) Requirement that administrative remedies be exhaustedA 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.
(2) Mitigation of damagesThe 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.
(3) Period for bringing actionNotwithstanding 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.
(e) Notice of failure to release lienThe 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.
(Added Pub. L. 100–647, title VI, § 6240(a), Nov. 10, 1988, 102 Stat. 3746.)
Editorial Notes
Prior ProvisionsA prior section 7432 was renumbered 7437 of this title.
Statutory Notes and Related Subsidiaries
Effective DatePub. L. 100–647, title VI, § 6240(c), Nov. 10, 1988, 102 Stat. 3747, provided that: “The amendments made by this section [enacting this section] shall apply to notices provided by the taxpayer of the failure to release a lien, and damages arising, after December 31, 1988.”