[Congressional Bills 117th Congress]
[From the U.S. Government Publishing Office]
[H.R. 9612 Introduced in House (IH)]
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117th CONGRESS
2d Session
H. R. 9612
To direct the Secretary of the Treasury to report to Congress regarding
audit rates of taxpayers claiming the adoption tax credit and regarding
the audit practices for refundable and nonrefundable personal tax
credits.
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IN THE HOUSE OF REPRESENTATIVES
December 16, 2022
Mr. Moore of Utah (for himself and Mr. Smucker) introduced the
following bill; which was referred to the Committee on Ways and Means
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A BILL
To direct the Secretary of the Treasury to report to Congress regarding
audit rates of taxpayers claiming the adoption tax credit and regarding
the audit practices for refundable and nonrefundable personal tax
credits.
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 ``Protecting Adopting Families from
Audits Act''.
SEC. 2. ANNUAL REPORTS TO CONGRESS REGARDING AUDIT RATES OF TAXPAYERS
CLAIMING THE ADOPTION TAX CREDIT.
(a) Initial Report in 2023.--
(1) In general.--Not later than December 31, 2023, the
Secretary of the Treasury shall submit a written report to the
Committee on Ways and Means of the House of Representatives and
the Committee on Finance of the Senate comparing the auditing
rate of individuals who claim the adoption tax credit to the
auditing rate of comparable individuals who did not claim such
credit. Such report shall include the following information
stated separately with respect to taxable years beginning in or
with each of calendar years 2008 through 2019:
(A) The auditing rate for individuals who claim the
adoption tax credit for such taxable year, and such
rate determined separately (for each such taxable year)
for:
(i) Each State (determined on the basis of
mailing address).
(ii) Joint returns.
(iii) Returns other than joint returns.
(B) The auditing rate for comparable individuals
who did not claim the adoption tax credit for such
taxable year, and such rate determined separately (for
each such taxable) for each category described in
clauses (i), (ii), and (iii) of subparagraph (A).
(2) Comparable individual.--For purposes of this
subsection, the term ``comparable individual'' means, with
respect to any taxable year, any individual who files an income
tax return for such taxable year and whose adjusted gross
income (as defined in section 23(b)(2)(B) of the Internal
Revenue Code of 1986) for such taxable year does not exceed the
dollar amount of adjusted gross income (as so defined) at which
the adoption tax credit is reduced to zero for such taxable
year.
(b) Annual Reports.--
(1) First annual report in 2024.--Not later than the close
of calendar year 2024, the Secretary of the Treasury shall
submit a written report to the Committee on Ways and Means of
the House of Representatives and the Committee on Finance of
the Senate including the information described in subparagraphs
(A) and (B) of subsection (a)(1) with respect to taxable years
beginning in or with calendar year 2020.
(2) Subsequent annual reports through 2036.--With respect
to each calendar year after 2024 and before 2037, paragraph (1)
shall be applied by increasing ``2024'' and ``2020'' by the
number of years equal to the excess of--
(A) such calendar year, over
(B) 2024.
SEC. 3. REPORT TO CONGRESS REGARDING AUDITING PRACTICES FOR REFUNDABLE
AND NONREFUNDABLE PERSONAL TAX CREDITS.
(a) In General.--Not later than December 31, 2023, the Secretary of
the Treasury shall submit a written report to the Committee on Ways and
Means of the House of Representatives and the Committee on Finance of
the Senate regarding audit practices of the Internal Revenue Service
with respect to individuals who claim refundable credits and
individuals who claim nonrefundable credits. Such report shall
include--
(1) a comparison (stated separately for various income
categories) of the auditing rate for individuals who claim one
or more refundable credits (other than any credit which
constitutes an overpayment of tax) and the auditing rate for
individuals who claim one or more nonrefundable personal
credits, and
(2) a description of any policies or practices of the
Internal Revenue Service which create, or which would tend to
create, a discrepancy between the auditing rates of the
taxpayers described in paragraph (1).
(b) Protection of Tax Administration and Prevention of Fraud.--The
description referred to in subsection (a)(2) shall be as detailed as
possible without disclosing information which would impair tax
administration or aid in the commission of fraud.
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