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HR9500Referred to Committee

Tax Relief for Fraud Victims Act

Share:
Introduced
In Committee
3
Passed One Chamber
4
Passed Both
5
Signed into Law
119th
Congress
2026-06-29
Introduced
1
Cosponsors
HR
ⓘ
Type

Sponsor

Max L. Miller
Max L. Miller
Republican · OH · Representative
Votes with party: 96.6% (562 recorded votes)

Full profile: /officials/M001222

Source: Congress.gov · FEC

Cosponsors (1)

Members who have signed on to support this bill since introduction. Source: Congress.gov.

  • Thomas R. Suozzi (D-NY-3)Original· 2026-06-29

Latest Action

The most recent step in the bill's legislative path. Committee Activity below shows referrals and reports; the full action-by-action history including floor proceedings lives at Congress.gov →

Referred to the House Committee on Ways and Means.

2026-06-29

Source: Congress.gov

Committee Activity

Currently in

  • House Committee on Ways and MeansReferred To · 2026-06-29

Plain-English Summary

This legislation would allow people who have been victims of fraud to deduct their losses from their taxes, reducing the amount of income they owe taxes on. The bill would help individuals recover some of their financial losses by treating fraud-related expenses similarly to other deductible losses. This would primarily benefit fraud victims who have suffered significant financial harm and need tax relief to help them recover.

AI-assisted summary generated from the official bill metadata (title, subjects, actions) sourced from Congress.gov. Cached and reviewed. Always verify against the official text linked below.

Full Bill Text

Verbatim text published on Congress.gov via GovInfo. Use Cmd+F / Ctrl+F to search within this excerpt.

[Congressional Bills 119th Congress] [From the U.S. Government Publishing Office] [H.R. 9500 Introduced in House (IH)] <DOC> 119th CONGRESS 2d Session H. R. 9500 To amend the Internal Revenue Code of 1986 to repeal the limitation on deductions for personal casualty losses and to provide for increased taxpayer relief with respect to theft losses involving fraud, deceit, or misrepresentation. _______________________________________________________________________ IN THE HOUSE OF REPRESENTATIVES June 29, 2026 Mr. Miller of Ohio (for himself and Mr. Suozzi) introduced the following bill; which was referred to the Committee on Ways and Means _______________________________________________________________________ A BILL To amend the Internal Revenue Code of 1986 to repeal the limitation on deductions for personal casualty losses and to provide for increased taxpayer relief with respect to theft losses involving fraud, deceit, or misrepresentation. Be it enacted by the Senate and House of Representatives of the United States of America in Congress assembled, SECTION 1. SHORT TITLE. This Act may be cited as the ``Tax Relief for Fraud Victims Act''. SEC. 2. REPEAL OF LIMITATION ON DEDUCTIONS FOR PERSONAL CASUALTY LOSSES; INCREASED TAXPAYER RELIEF WITH RESPECT TO CERTAIN THEFT LOSSES. (a) Repeal of Limitation on Deductions for Personal Casualty Losses.--Section 165(h) of the Internal Revenue Code of 1986 is amended by striking paragraph (5). (b) Certain Theft Losses Sustained During Taxable Year of Choice; Extension of Period of Limitation for Credit or Refund Claims for Certain Theft Losses.-- (1) Certain theft losses sustained during taxable year of choice.--Section 165(e) of such Code is amended to read as follows: ``(e) Theft Losses.--For purposes of subsection (a)-- ``(1) In general.--Except as provided in paragraph (2), any loss arising from theft shall be treated as sustained during the taxable year in which the taxpayer discovers such loss. ``(2) Theft losses involving fraud, deceit, or misrepresentation.--In the case of any loss arising from theft involving fraud, deceit, or misrepresentation (as defined by the Secretary), the taxpayer may elect to treat such loss as sustained during the taxable year in which such loss occurs.''. (2) Extension of period of limitation for credit or refund claims for certain theft losses.--Section 165(h)(4) of such Code is amended by adding at the end the following new subparagraph: ``(F) Period of limitation for credit or refund claims for theft losses involving fraud, deceit, or misrepresentation.--In the case of a claim for credit or refund with respect to a deduction allowed under subsection (a) for any loss arising from theft involving fraud, deceit, or misrepresentation-- ``(i) the period of limitation prescribed by section 6511(a) for the filing of such claim shall be treated as not expiring earlier than the date that is 1 year after the date on which the taxpayer discovers such loss, and ``(ii) section 6511(b)(2) shall not apply with respect to the filing of such claim.''. (c) Distributions Relating to Theft Losses Involving Fraud, Deceit, or Misrepresentation.--Section 72(t)(2) of such Code is amended by adding at the end the following new subparagraph: ``(O) Distributions relating to theft losses involving fraud, deceit, or misrepresentation.-- ``(i) In general.--Any distribution to the extent it relates to any loss arising from theft involving fraud, deceit, or misrepresentation for which a deduction is allowed under section 165(a). ``(ii) Amount distributed may be repaid.-- Rules similar to the rules of subparagraph (H)(v) shall apply with respect to an individual who receives a distribution to which clause (i) applies, except that subparagraph (H)(v)(I) shall be applied by substituting `1- year period beginning on the day after the date on which the taxpayer discovers the loss described in subparagraph (O)(i)' for `3-year period beginning on the day after the date…
Show the remaining 403 wordsHide the remaining 403 words
on which such distribution was received'. ``(iii) Period of limitation for credit or refund claims.--In the case of a claim for credit or refund of the tax imposed by paragraph (1) with respect to a distribution described in clause (i)-- ``(I) the period of limitation prescribed by section 6511(a) for the filing of such claim shall be treated as not expiring earlier than the date that is 1 year after the date on which the taxpayer discovers the loss described in clause (i), and ``(II) section 6511(b)(2) shall not apply with respect to the filing of such claim.''. (d) Cross Reference.--Section 6511(i) of such Code is amended by adding at the end the following new paragraph: ``(8) For a period of limitations for credit or refund in the case of theft losses involving fraud, deceit, or misrepresentation, see sections 72(t)(2)(O)(iii) and 165(h)(4)(F).''. (e) Effective Dates.-- (1) In general.--Except as provided in this subsection, the amendments made by this subsection shall apply to losses sustained in taxable years beginning after December 31, 2025. (2) Distributions relating to theft losses involving fraud, deceit, or misrepresentation.--The amendment made by subsection (c) shall apply to distributions made after December 31, 2025. (3) Pyrrhotite-related personal casualty losses.-- (A) In general.--In the case of any pyrrhotite- related personal casualty loss, paragraph (1) shall be applied by substituting ``December 31, 2020'' for ``December 31, 2025''. (B) Pyrrhotite-related personal casualty loss.--For purposes of this paragraph, the term ``pyrrhotite- related personal casualty loss'' means any personal casualty loss (as defined in section 165(h)(3)(B) of the Internal Revenue Code of 1986) arising in connection with damage to a principal residence (within the meaning of section 121 of such Code) by reason of deterioration of a concrete foundation adversely impacted by pyrrhotite. (C) Extension of period of limitation for credit or refund claims for pyrrhotite-related personal casualty losses.--In the case of a claim for credit or refund with respect to a deduction allowed under section 165(a) of the Internal Revenue Code of 1986 by reason of subparagraph (A) for any pyrrhotite-related personal casualty loss-- (i) the period of limitation prescribed by section 6511(a) of such Code for the filing of such claim shall be treated as not expiring earlier than the date that is 1 year after the date of the enactment of this section, and (ii) section 6511(b)(2) of such Code shall not apply with respect to the filing of such claim. <all>
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