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Taxation

Records whose title is actually about this topic. Use a country filter if the list is still too broad.

51 records in US in 2025

Records

Bill· HRH.R. 6895 (119th)referred

Debt Solution and Accountability Act

United States · United States Congress · 18 December 2025

Debt Solution and Accountability Act This bill requires the Department of the Treasury to submit to Congress a debt report and a statement of intent on (1) any date on which the debt subject to limit reaches 99.5% of the federal debt limit, and (2) the date that is one month before the expiration of a suspension of the debt limit.  The debt report must include the historical levels of the debt, current amount and composition of the debt, and future projections of the debt; the drivers and composition of future debt; and how the United States will meet debt obligations. The statement of intent must include a detailed explanation of proposals of the President to reduce or slow the growth of the debt, the impact of increasing the debt limit and of leaving the debt limit unchanged, and projections of the fiscal health and sustainability of major direct-spending entitlement programs (including Social Security, Medicare, and Medicaid). Within 180 days after the effective date of an increase in or suspension of the debt limit, Treasury must submit to Congress a detailed report on the progress of implementing the President's proposals to reduce or slow the growth of the debt.  Treasury must make the information required by this bill available to the public on its website. Upon request, Treasury must submit to Congress specified financial and economic data relevant to determining the amount of the public debt.

Bill· SS. 3523 (119th)referred

Clean Competition Act

United States · United States Congress · 17 December 2025

Bill· HRH.R. 6781 (119th)referred

Trump Tariff Rebate Act

United States · United States Congress · 17 December 2025

Bill· HRH.R. 6787 (119th)referred

Clean Competition Act

United States · United States Congress · 17 December 2025

Bill· HRH.R. 6827 (119th)referred

All American Metal Act

United States · United States Congress · 17 December 2025

Bill· SS. 3514 (119th)referred

Less Than Lethal Act

United States · United States Congress · 16 December 2025

Bill· SS. 3497 (119th)referred

Shelter Act

United States · United States Congress · 16 December 2025

Bill· HRH.R. 6763 (119th)referred

Shelter Act

United States · United States Congress · 16 December 2025

Bill· HRH.R. 6758 (119th)referred

UPLIFT Act

United States · United States Congress · 16 December 2025

Bill· HRH.R. 6518 (119th)referred

SAF Act

United States · United States Congress · 9 December 2025

Bill· HRH.R. 6506 (119th)referred

Taxpayer Due Process Enhancement Act

United States · United States Congress · 9 December 2025

Taxpayer Due Process Enhancement Act This bill suspends the period of time allowed for claiming a federal tax refund (limitations period) during collection due process (CDP) proceedings, prohibits the Internal Revenue Service (IRS) from applying tax overpayments to a tax liability that is disputed in such proceedings, and expands the Tax Court’s jurisdiction. As background, IRS collection actions and the underlying tax liability (in some circumstances) may be disputed in a CDP hearing. Collection actions are suspended during CDP proceedings, but the IRS may apply tax overpayments from other tax years to the disputed tax liability. The Tax Court may review an appeal of a CDP hearing determination. However, the Supreme Court held in Commissioner v. Zuch that the Tax Court loses jurisdiction over a CDP appeal if the CDP hearing determination is revoked because tax overpayments are applied to and fully satisfy the tax liability. In such circumstances, the taxpayer may claim a refund and seek redress in federal district court. Currently, the limitations period to file a refund claim is not suspended during CDP proceedings. The bill suspends the limitations period for claiming a tax refund during CDP proceedings (with exceptions), prohibits the IRS from applying tax overpayments to a properly disputed tax liability during CDP proceedings (unless waived or an exception applies), expands the Tax Court's jurisdiction in CDP cases to include jurisdiction over the underlying tax liability amount (if properly disputed), and provides that the Tax Court retains its jurisdiction if the IRS abandons collection actions.

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