Title 26 › Subtitle Subtitle F— - Procedure and Administration › Chapter CHAPTER 76— - JUDICIAL PROCEEDINGS › Subchapter Subchapter B— - Proceedings by Taxpayers and Third Parties › § 7433
Allows a taxpayer to sue the United States in federal court when an IRS officer or employee, while trying to collect a tax, recklessly, intentionally, or negligently ignores the tax laws or IRS rules. If the court finds the IRS at fault, the award is the smaller of $1,000,000 ($100,000 for negligence) or the taxpayer’s actual direct economic losses plus the costs of the lawsuit. The court will not award damages until the taxpayer first uses any available IRS administrative remedies. Any award must be reduced by losses the taxpayer could have reasonably avoided. You can sue regardless of the amount in controversy, but you must file within 2 years after the right to sue begins. Awards are paid from funds appropriated under section 1304 of title 31, United States Code. If an IRS employee willfully violates a bankruptcy stay or discharge under 11 U.S.C. 362 or 524, the taxpayer may instead petition the bankruptcy court for damages. That petition is generally the only remedy for such violations, but special rules limit recovery of administrative and litigation costs in actions under 362(h) and allow administrative costs only if they were incurred on or after the bankruptcy filing.
Full Legal Text
Internal Revenue Code — Source: USLM XML via OLRC
Legislative History
Reference
Citation
26 U.S.C. § 7433
Title 26 — Internal Revenue Code
Last Updated
Apr 6, 2026
Release point: 119-73