Tax Court Invalidates Summary Assessment of Excess APTC Repayments in Walker v. Commissioner
The determination of whether an unsatisfied tax obligation constitutes a "deficiency" under IRC § 6211 or an amount "shown on the return" under IRC § 6201 dictates the procedural rights of a taxpayer. In Walker v. Commissioner, T.C. Memo. 2026-4, the United States Tax Court addressed a critical procedural question regarding the Premium Tax Credit (PTC): Must the IRS issue a Notice of Deficiency before assessing excess Advance Premium Tax Credit (APTC) repayments when the reconciliation form is submitted after the original return? The Court held that such liabilities constitute deficiencies, requiring the IRS to follow deficiency procedures rather than summary assessment.
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