Title 26 › Subtitle Subtitle F— - Procedure and Administration › Chapter CHAPTER 64— - COLLECTION › Subchapter Subchapter C— - Lien for Taxes › Part PART II— - LIENS › § 6325
The Secretary must give a certificate that releases a tax lien within 30 days when the tax and interest are paid or become legally uncollectible, or when the Secretary accepts a bond that guarantees payment under the rules the Secretary sets. The Secretary can also issue certificates that free part of the property from a lien if rules are met — for example, when the part left under the lien is worth at least double the unpaid tax plus higher-priority liens; when the owner pays an amount the Secretary says is at least the value of the United States’ interest; when the Secretary finds the United States’ interest has no value; or when the property is sold and the sale money is kept under an agreed fund with the same priority. An owner may get a discharge by depositing money equal to the United States’ interest or by giving an acceptable bond. The Secretary must refund such a deposit (with interest at the overpayment rate under section 6621) if the tax is paid from another source or the United States’ interest is worth less than previously thought. If no action is filed under section 7426(a)(4) in time, the Secretary will, within 60 days after that time ends, use the deposit to pay the tax as needed and return any leftover with interest. The Secretary may also discharge all property when the tax is paid or otherwise provided for, and may subordinate the United States’ lien (make another claim go ahead of it) when paid the subordinated amount or when the Secretary thinks subordination will help collect more, including certain 6324B liens if the United States stays secure. If a lien notice wrongly appears to affect someone else, the Secretary can certify that the lien does not attach to that person’s property. When a certificate is filed where the lien was filed, it is binding: a release cancels the lien, a discharge frees the listed property, a subordination makes the other claim superior, and a nonattachment shows the lien does not attach. The Secretary can revoke an erroneous release or nonattachment and reinstate the lien if the tax collection period has not run out, by mailing and filing notice. If someone reacquires property after a discharge, the lien attaches again. If the local filing office won’t accept the certificate, it can be filed with the clerk of the U.S. district court. For bond rules see chapter 73.
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Internal Revenue Code — Source: USLM XML via OLRC
Legislative History
Reference
Citation
26 U.S.C. § 6325
Title 26 — Internal Revenue Code
Last Updated
Apr 6, 2026
Release point: 119-73