§ 1509.
No jurisdiction in cases involving refunds of tax shelter promoter and understatement penalties
The United States Court of Federal Claims shall not have jurisdiction to hear any action or proceeding for any refund or credit of any penalty imposed under section 6700 of the Internal Revenue Code of 1986 (relating to penalty for promoting abusive tax shelters, etc.) or section 6701 of such Code (relating to penalties for aiding and abetting understatement of tax liability).
(Added [Pub. L. 98–369, div. A, title VII, § 714(g)(2)], July 18, 1984, [98 Stat. 962]; amended [Pub. L. 99–514, § 2], Oct. 22, 1986, [100 Stat. 2095]; [Pub. L. 102–572, title IX, § 902(a)(1)], Oct. 29, 1992, [106 Stat. 4516].)