Help your clients claim money the IRS owes them. Quick setup, fully branded, only $10/month.
Backed by the landmark Kwong v. US court ruling
In 2023, the U.S. Court of Federal Claims ruled in Kwong v. United States that certain penalties assessed between January 20, 2020, and July 10, 2023, may be challenged via Form 843. This creates a limited-time window for clients to claim refunds they're legally entitled to recover.
⏰ Important: The deadline to file is July 10, 2026. After that, claims cannot be reopened.
Client retrieves their IRS transcript via IRS.gov or by calling 800-908-9946. This shows all penalties and interest assessed.
Verify penalties fall within the Kwong window (Jan 20, 2020 – Jul 10, 2023). Only qualifying penalties are eligible.
Your landing page auto-generates the official IRS Form 843 with pre-filled Kwong reasoning and client data.
Client prints the PDF and mails it to the IRS address auto-calculated for their state. Tracking included.
Clients can contact you for guidance on their specific case. Your branding is prominently featured.
Limited-time opportunity. Deadline expires July 10, 2026.
A simple 5-step process powered by the Kwong v. US court ruling
IRS.gov or 800-908-9946
Jan 20, 2020 – Jul 10, 2023
Auto-populated with Kwong reasoning
Calculated IRS address per state
Optional guidance from you
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U.S. Court of Federal Claims Ruling (2023)
In a landmark 2023 decision, the U.S. Court of Federal Claims ruled that certain penalties assessed by the IRS between January 20, 2020, and July 10, 2023, are subject to challenge via IRS Form 843 (Claim for Refund and Abatement).
This ruling opens a limited-time opportunity for taxpayers who had penalties assessed during this window. Many clients don't know they can challenge these penalties, making this a high-value service opportunity.
⏰ Time-Sensitive Window
Deadline: July 10, 2026 — After this date, claims cannot be reopened. Act now to help your clients recover money they're legally entitled to.