[Congressional Bills 117th Congress]
[From the U.S. Government Publishing Office]
[H.R. 2079 Introduced in House (IH)]
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117th CONGRESS
1st Session
H. R. 2079
To provide that CARES Act Provider Relief Fund payments are not
includible in gross income, and for other purposes.
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IN THE HOUSE OF REPRESENTATIVES
March 19, 2021
Mrs. Axne (for herself, Mr. Fitzpatrick, and Mr. Dunn) introduced the
following bill; which was referred to the Committee on Ways and Means
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A BILL
To provide that CARES Act Provider Relief Fund payments are not
includible in gross income, and for other purposes.
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 ``Eliminating the Provider Relief Fund
Tax Penalties Act of 2021''.
SEC. 2. CARES ACT PROVIDER RELIEF FUND PAYMENTS EXCLUDED FROM GROSS
INCOME.
(a) In General.--For purposes of the Internal Revenue Code of 1986,
any CARES Act Provider Relief Fund payment shall not be included in the
gross income of the recipient of such payment.
(b) Clarification of Treatment of Certain Expenses.--For purposes
of the Internal Revenue Code of 1986 and notwithstanding any other
provision of law, any deduction and the basis of any property shall be
determined without regard to whether any amount is excluded from gross
income under subsection (a).
(c) CARES Act Provider Relief Fund Payment.--For purposes of this
section, the term ``CARES Act Provider Relief Fund payment'' means any
grant or similar assistance provided by the Secretary of Health and
Human Services under the CARES Act Provider Relief Fund program
(including any amounts made available to carry out such program by the
Paycheck Protection Program and Health Care Enhancement Act, the
Consolidated Appropriations Act, 2021, or any other provision of law
enacted after the date of the enactment of such Acts).
(d) Effective Date.--The provisions of this section shall apply to
taxable years ending after the date of the enactment of the CARES Act.
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