Union Calendar No. 525
119th CONGRESS 2d Session |
[Report No. 119–605]
To amend the Internal Revenue Code of 1986 to codify and extend the rules for personal casualty losses arising from major disasters and the rules for the exclusion from gross income of compensation for losses or damages resulting from certain wildfires.
September 15, 2025
Mr. Steube (for himself, Mr. Thompson of California, Mr. LaMalfa, and Mr. Panetta) introduced the following bill; which was referred to the Committee on Ways and Means
April 9, 2026
Additional sponsors: Mr. Vindman, Mr. Neguse, Mr. Min, Mr. Crow, Ms. Tokuda, Mr. Donalds, Mr. Bilirakis, Mr. Diaz-Balart, Ms. Moore of Wisconsin, Mr. Bergman, and Mr. Wilson of South Carolina
April 9, 2026
Reported with an amendment, committed to the Committee of the Whole House on the State of the Union, and ordered to be printed
[Strike out all after the enacting clause and insert the part printed in italic]
[For text of introduced bill, see copy of bill as introduced on September 15, 2025]
To amend the Internal Revenue Code of 1986 to codify and extend the rules for personal casualty losses arising from major disasters and the rules for the exclusion from gross income of compensation for losses or damages resulting from certain wildfires.
Be it enacted by the Senate and House of Representatives of the United States of America in Congress assembled,
This Act may be cited as the “Doug LaMalfa Federal Disaster Tax Relief Certainty Act”.
SEC. 2. Codification and extension of rules for casualty losses arising from major disasters.
(a) In general.—Section 165(h) of the Internal Revenue Code of 1986 is amended by adding at the end the following new paragraph:
“(6) SPECIAL RULE FOR QUALIFIED NET DISASTER LOSSES.—
“(A) IN GENERAL.—If an individual has a qualified net disaster loss for any taxable year, the amount determined under paragraph (2)(A)(ii) shall be the sum of—
“(B) QUALIFIED NET DISASTER LOSS.—For purposes of subparagraph (A), the term ‘qualified net disaster loss’ means the excess (if any) of—
“(C) QUALIFIED DISASTER-RELATED PERSONAL CASUALTY LOSSES.—For purposes of this paragraph—
“(i) IN GENERAL.—The term ‘qualified disaster-related personal casualty losses’ means losses described in subsection (c)(3) (determined after application of paragraph (1)) which arise in a qualified disaster area on or after the first day of the incident period of the qualified disaster to which such area relates, and which are attributable to such disaster.
“(ii) QUALIFIED DISASTER AREA.—The term ‘qualified disaster area’ means any area with respect to which a major disaster has been declared by the President under section 401 of the Robert T. Stafford Disaster Relief and Emergency Assistance Act if the incident period of the disaster with respect to which such declaration is made begins on or after December 28, 2019, and before January 1, 2027.
(b) Dollar limitation.—Section 165(h)(1) of such Code is amended by striking “$500 ($100 for taxable years beginning after December 31, 2009)” and inserting “$100 ($500 in the case of any qualified disaster-related personal casualty losses (as defined in paragraph (6)(C))”.
(c) Deduction allowed to individuals who do not elect to itemize deductions.—Section 63(b) of such Code is amended—
(d) Effective date.—
(1) IN GENERAL.—The amendments made by this section shall apply to taxable years beginning after December 31, 2024.
(2) COORDINATION WITH SUPERCEDED PROVISIONS.—Section 304(b) of the Taxpayer Certainty and Disaster Tax Relief Act of 2020 (division EE of Public Law 116–260) and section 70438 of Public Law 119–21 shall not apply to any taxable year beginning after December 31, 2024.
SEC. 3. Codification and extension of exclusion from gross income of compensation for losses or damages resulting from certain wildfires.
(a) In general.—Part III of subchapter B of chapter 1 of the Internal Revenue Code of 1986 is amended by inserting before section 140 the following new section:
“(a) In general.—Gross income shall not include any amount received by an individual as a qualified wildfire relief payment.
“(b) Qualified wildfire relief payment.—For purposes of this section—
“(1) IN GENERAL.—The term ‘qualified wildfire relief payment’ means any amount received by or on behalf of an individual as compensation for losses, expenses, or damages (including compensation for additional living expenses, lost wages (other than compensation for lost wages paid by the employer which would have otherwise paid such wages), personal injury, death, or emotional distress) incurred as a result of a qualified wildfire disaster, but only to the extent the losses, expenses, or damages compensated by such payment are not compensated for by insurance or otherwise.
“(c) Denial of double benefit.—Notwithstanding any other provision of this title—
(b) Clerical amendment.—The table of sections for part III of subchapter B of chapter 1 of such Code is amended by inserting before the item related to section 140 the following new item:
“Sec. 139M. Compensation for losses or damages resulting from certain wildfires.”.
Union Calendar No. 525 | |||||
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[Report No. 119–605] | |||||
A BILL | |||||
To amend the Internal Revenue Code of 1986 to codify and extend the rules for personal casualty losses arising from major disasters and the rules for the exclusion from gross income of compensation for losses or damages resulting from certain wildfires. | |||||
April 9, 2026 | |||||
Reported with an amendment, committed to the Committee of the Whole House on the State of the Union, and ordered to be printed |