Blog Post: Out of Time: The Government (Mostly) Wins at the District Court in Govig

March 30, 2023

For the first time ever, a federal court time-bars an administrative procedure claim in tax under the six-year limitations period of 28 U.S.C. § 2401(a).

Full Citation

Susan C. Morse. “Blog Post: Out of Time: The Government (Mostly) Wins at the District Court in Govig” at Procedurally Taxing (March 30, 2023). View online.