Medical College of Wisconsin v. United States, No. 16-3863 (7th Cir. 2017)
Annotate this CaseMedical College of Wisconsin, a nonprofit corporation, received a refund of Social Security (FICA) taxes after the IRS ruled that medical residents were exempt from them until April 2005. The IRS added to the refund approximately $13 million in interest but later demanded $6.7 million back, claiming to have used too high a rate. Medical College returned the money and filed suit under 28 U.S.C. 1346(a)(1), asking to have the disputed sum restored. The district court and Seventh Circuit denied the request, rejecting Medical College’s argument that, under 26 U.S.C. 6621, a nonprofit is not the sort of corporation to which a lower rate in paragraph (a)(1)(B) refers.
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