Section 1 Short title
This Act may be cited as the “No Tax on Wrongful Delay Act of 2026”.
A BILL
To amend the Internal Revenue Code of 1986 to provide an exemption from gross income for interest paid to taxpayers by the Internal Revenue Service following an audit or litigation in which the taxpayer prevailed.
“139M. Interest paid to taxpayers following an audit or litigation
“Gross income shall not include any interest which, pursuant to section 6611, is required to be paid upon any overpayment in respect of any internal revenue tax following—
“(1) an examination pursuant to the provisions of section 7602,
“(2) any suit or proceeding brought by the taxpayer for the credit or refund of taxes, or
“(3) any civil action commenced by the United States for the collection or recovery of taxes.”