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Estate Entitled to Refund

Refund

In Anne Batchelor-Robjohns et al. v. United States, 2013-TNT-221-15, an estate was declared entitled to a tax refund for an incorrect assessment by the IRS.

This refund was based on the decedent’s 2000 tax return “with no offsets and interest from the date the erroneous assessment was paid until the date of repayment.”

See Rachelle Hellams, Esq., Estate Entitled to Refund from IRS, Wealth Strategies Journal 2.0, Nov. 18, 2013.

Special thanks to Jim Hillhouse (Professional Legal Marketing (PLM, Inc.)) for bringing this article to my attention.

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