Title 26 › Subtitle Subtitle F— Procedure and Administration › Chapter 76— JUDICIAL PROCEEDINGS › Subchapter B— Proceedings by Taxpayers and Third Parties › § 7426
If the government seizes or sells property because of unpaid taxes, a person other than the taxpayer who says they have a right or lien on that property can sue the United States in federal court. This covers people who say the levy was wrongful, people junior to the United States who want surplus sale proceeds, and people who claim part of money held under a sale-substitution agreement. If the Secretary gives a certificate of discharge about property, the person who gets that certificate has 120 days to sue to challenge the Secretary’s valuation. Suits can be filed even if the property was already handed over or sold. The court can stop a levy or sale if the court finds someone’s rights are better than the United States’ rights. If the levy was wrongful, the court can order return of property, award money equal to what was taken, or, if the property was sold, award up to the greater of the sale proceeds or the fair market value just before the levy. The court can also award surplus sale proceeds or parts of a held fund when appropriate, and must order refunds and release bonds if the Secretary’s valuation is too high. The tax assessment is assumed valid for the case. You cannot sue IRS officers personally for acts covered by these rules; if someone wrongly sues an officer, the court will replace that officer with the United States. You do not have to file a refund claim first. Interest is paid at the overpayment rate under section 6621, with specific start dates tied to when money was taken, sold, or deposited. If an IRS officer recklessly, intentionally, or negligently ignored the tax law, the officer can be held liable up to $1,000,000 (or $100,000 for negligence) or the actual direct economic damages plus costs, reduced by amounts already awarded; rules in section 7433(d) apply. Payments for those claims come from funds under 31 U.S.C. 1304. The time limit to file is set in section 6532(c).
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Internal Revenue Code — Source: USLM XML via OLRC
Legislative History
Reference
Citation
26 U.S.C. § 7426
Title 26 — Internal Revenue Code
Last Updated
Apr 5, 2026
Release point: 119-73not60