Taxpayer Defenses To Trust Fund Recovery Penalty Cases in Federal Circuit

Browse 1 taxpayer defenses to trust fund recovery penalty cases decided by Federal Circuit. AI-powered summaries, holdings, and legal analysis.

1
Cases
1
Defendant Win

Taxpayer Defenses To Trust Fund Recovery Penalty Opinions from Federal Circuit (1)

King v. United States

Willful failure to remit trust fund taxes means knowing they are due, not intending to defraud.

Federal Circuit · 2025-08-18 · Defendant Win · Impact: 25/100

King v. United States, decided by Federal Circuit on August 18, 2025, resulted in a defendant win outcome. The case concerns the interpretation of "willful" under 26 U.S.C. § 6672, which imposes perso...

Frequently Asked Questions

Q: How many taxpayer defenses to trust fund recovery penalty cases has Federal Circuit decided?

CaseLawBrief currently tracks 1 taxpayer defenses to trust fund recovery penalty cases from Federal Circuit. This number is updated as new opinions are published.

Q: What types of outcomes occur in taxpayer defenses to trust fund recovery penalty cases at Federal Circuit?

Outcome breakdown: Defendant Win: 1.

Q: Where can I find plain English summaries of taxpayer defenses to trust fund recovery penalty rulings from Federal Circuit?

Each case page on CaseLawBrief includes an AI-generated plain English summary, key holdings, and legal analysis. Click any case above to read its full analysis.

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