Reynoso v. United States, No. 11-15181 (9th Cir. 2012)
Annotate this CaseThis case stemmed from plaintiff's suit to recover overpayments from the IRS and his subsequent appeal of the district court's judgment which did not award him an overpayment related to his 1999 tax year. The court held that a taxpayer's claim for credit of an overpayment was limited to the amount of the overpayment made within the applicable look-back period in I.R.C. 6511(b)(2)(A). Any claim for refund based on an amount claimed as credit but paid outside of the look-back period was time-barred and uncollectible. Therefore, the court affirmed the district court's judgment where plaintiff's claim for credit of his overpayment of his 1999 taxes was time-barred under section 6511(b)(2)(A).
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