In general
If, in connection with any collection of Federal tax with respect to a taxpayer, any officer or employee of the Internal Revenue Service recklessly or intentionally, or by reason of negligence, disregards any provision of this title, or any regulation promulgated under this title, such taxpayer may bring a civil action for damages against the United States in a district court of the United States. Except as provided in section 7432, such civil action shall be the exclusive remedy for recovering damages resulting from such actions.
Damages
Payment authority
section 1304 of title 31Claims pursuant to this section shall be payable out of funds appropriated under , United States Code.
Limitations
Requirement that administrative remedies be exhausted
A 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.
Mitigation of damages
The 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.
Period for bringing action
Notwithstanding 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.
Actions for violations of certain bankruptcy procedures
In general
If, in connection with any collection of Federal tax with respect to a taxpayer, any officer or employee of the Internal Revenue Service willfully violates any provision of section 362 (relating to automatic stay) or 524 (relating to effect of discharge) of title 11, United States Code (or any successor provision), or any regulation promulgated under such provision, such taxpayer may petition the bankruptcy court to recover damages against the United States.
Remedy to be exclusive
In general
Except as provided in subparagraph (B), notwithstanding section 105 of such title 11, such petition shall be the exclusive remedy for recovering damages resulting from such actions.
Certain other actions permitted
Pub. L. 100–647, title VI, § 6241(a)102 Stat. 3747Pub. L. 104–168, title VIII110 Stat. 1465Pub. L. 105–206, title III, § 3102(a)112 Stat. 730(Added , , ; amended , §§ 801(a), 802(a), , ; , (c), , .)
Editorial Notes
Prior Provisions
A prior section 7433 was renumbered 7437 of this title.
Amendments
Pub. L. 105–206, § 3102(a)(1)(A)1998—Subsec. (a). , inserted “, or by reason of negligence,” after “recklessly or intentionally”.
Pub. L. 105–206, § 3102(a)(1)(B)(i)Subsec. (b). , (c)(2), in introductory provisions, inserted “or petition filed under subsection (e)” after “subsection (a)” and inserted “($100,000, in the case of negligence)” after “$1,000,000”.
Pub. L. 105–206, § 3102(a)(1)(B)(ii)Subsec. (b)(1). , inserted “or negligent” after “reckless or intentional”.
Pub. L. 105–206, § 3102(a)(2)Subsec. (d)(1). , substituted “Requirement that administrative remedies be exhausted” for “Award for damages may be reduced if administrative remedies not exhausted” in heading and amended text of par. (1) generally. Prior to amendment, text read as follows: “The amount of damages awarded under subsection (b) may be reduced if the court determines that the plaintiff has not exhausted the administrative remedies available to such plaintiff within the Internal Revenue Service.”
Pub. L. 105–206, § 3102(c)(1)Subsec. (e). , added subsec. (e).
Pub. L. 104–168, § 801(a)1996—Subsec. (b). , substituted “$1,000,000” for “$100,000”.
Pub. L. 104–168, § 802(a)Subsec. (d)(1). , amended par. (1) generally. Prior to amendment, par. (1) read as follows:
Requirement that administrative remedies be exhausted“(1) .—A 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.”
Statutory Notes and Related Subsidiaries
Effective Date of 1998 Amendment
Pub. L. 105–206section 3102(d) of Pub. L. 105–206section 7426 of this titleAmendment by applicable to actions of officers or employees of Internal Revenue Service after , see , set out as a note under .
Effective Date of 1996 Amendment
Pub. L. 104–168, title VIII, § 801(b)110 Stat. 1465
Pub. L. 104–168, title VIII, § 802(b)110 Stat. 1465