HomeMy WebLinkAbout6.28.22 Board Correspondence - FW_ Press Release_ LaMalfa Receives Taxability Guidance on Fire Victim Trust (2)
From:Paulsen, Shaina
To:BOS
Subject:Board Correspondence - FW: Press Release: LaMalfa Receives Taxability Guidance on Fire Victim Trust
Date:Tuesday, June 28, 2022 12:01:39 PM
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Please see Board Correspondence below.
Shaina Paulsen
Associate Clerk of The Board
Butte County Administration
25 County Center Drive, Suite 200, Oroville, CA 95965
T: 530.552.3304 | F: 530.538.7120
From: Page, Laura <Laura.Page@mail.house.gov>
Sent: Tuesday, June 28, 2022 10:29 AM
To: Clerk of the Board <clerkoftheboard@buttecounty.net>
Subject: FW: Press Release: LaMalfa Receives Taxability Guidance on Fire Victim Trust
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Laura Page
From: Page, Laura
Sent: Tuesday, June 28, 2022 10:27 AM
To: Page, Laura <Laura.Page@mail.house.gov>
Cc: DuBose, Teri <Teri.DuBose@mail.house.gov>
Subject: Press Release: LaMalfa Receives Taxability Guidance on Fire Victim Trust
Good morning,
The IRS issued their response to Congressman LaMalfa’s request for clarification on the tax liability
of PG&E settlement funds awarded to Camp Fire survivors.
Best,
Laura Page
Senior Advisor|Congressman Doug LaMalfa
Chico, CA 95973
From: Lavy, Alexandra <Alexandra.Lavy@mail.house.gov>
Sent: Tuesday, June 28, 2022 10:09 AM
To: Lavy, Alexandra <Alexandra.Lavy@mail.house.gov>
Subject: Press Release: LaMalfa Receives Taxability Guidance on Fire Victim Trust
For Immediate Release – June 28, 2022 Contact: Alexandra Lavy 202-680-0174
LaMalfa Receives Taxability Guidance on Fire Victim Trust
(Washington, D.C.) – Today, Congressman Doug LaMalfa (CA-01) and Congressman Mike
Thompson (CA-05) received a response letter to their January 21, 2022 inquiry and June 8,
2022 follow-up asking the IRS to issue guidance on the taxability of settlement funds received
from the Fire Victim Trust (FVT). The original letter was an effort to push the IRS to clarify
and expedite public tax guidance on whether payments made to victims would be taxable
under federal law. In their January 21, 2022 letter, Congressmen LaMalfa and Thompson were
joined by California Senators Dianne Feinstein and Alex Padilla, and Reps. Tom McClintock
(CA-04), John Garamendi (CA-03), and Jared Huffman (CA-02).
The new IRS guidance confirms that awards attributed to physical injury and emotional
distress caused by physical injuries are exempt from federal taxes. Additionally, the guidance
states settlement money used to reimburse or pay for reasonable and necessary personal,
family, living, or funeral expenses that occurred due to a loss in a federally declared disaster,
are exempt from federal taxes. The guidance also includes that expenses used to fund repairing
or replacing personal residences and its contents are exempt from federal taxability.
“It has been five months since we have called on the IRS to release taxability guidance. The
2022 tax season has come and gone and victims have already filed with their settlement money
in mind. Many still do not have the clarity they need to understand our complex tax code while
they deal with the emotional turmoil of rebuilding their homes and towns. I am appreciative
that the IRS has finally come around to try to work with us on this issue, and while this
guidance does give us some clarity, there are still vague and open-ended responses which
need concrete answers. We will continue pressing for clarifying information until we have
definite answers for all 70,000-plus Californians who face this bureaucratic uncertainty,”
said Congressman LaMalfa.
"I appreciate this initial response from the IRS as claimants of the PG&E Fire Victims Trust
work to navigate a complicated and potentially unprecedented tax situation. I look forward to
hearing additional clarifying details from IRS in the coming weeks as the agency responds to
the follow-up letter I led with Rep. LaMalfa earlier this month. I will not stop working until we
have ensured that those who lost their livelihoods due to wildfires receive the funding they are
owed," said Congressman Thompson.
“Wildfire victims have experienced unfathomable hardship. The last thing they should be
concerned with as they navigate rebuilding their lives is continued uncertainty from the IRS. I
join my colleagues in calling upon the IRS to do everything in its power to provide clarity and
assistance to claimants,” said Congressman McClintock.
“The Commissioner’s letter falls short of providing the assistance that Californians need to
confidently rebuild their lives after devastating wildfires,” said Rep. Jared Huffman.
“Californians need clear, direct, and personalized guidance and I look forward to continuing
to work with our partners at the IRS to help address this complicated issue for our
constituents.”
Congressman Doug LaMalfa is a lifelong farmer representing California’s First Congressional District,
including Butte, Glenn, Lassen, Modoc, Nevada, Placer, Plumas, Shasta, Sierra, Siskiyou and Tehama
Counties.
###
Alexandra Lavy
Communications Director
Congressman Doug LaMalfa (CA-01)
DEPARTMENT OF THE TREASURY
INTERNAL REVENUE SERVICE
WASHINGTON, DC 20224
COMMISSIONER
June 16, 2022
The Honorable Doug LaMalfa
U.S. House of Representatives
Washington, DC 20515
Dear Representative LaMalfa:
Thank you for your letter dated January 20, 2022. You asked the IRS to issue guidance
on funds claimants receive from the Fire Victims Trust, a $13.5 billion settlement
established on July 1, 2020, to provide support for those affected by the tragic events
related to multiple fires. The settlement of PG&E Corporation’s and Pacific Gas and
Electric Company’s jointly-filed, Chapter 11 bankruptcy protection case created the Fire
Victims Trust after the 2015 Butte Fire, the 2017 North Bay Wildfires, and the 2018
Camp Wildfire affected 70,000 people. We also received your recent letter with
additional questions on this topic, and we are working on that response.
I understand the importance of providing guidance so claimants of the Fire Victim Trust
can understand their tax filing obligations.
As you wrote in your letter, claimants need guidance on:
taxability of amounts from the Fire Victims Trust settlement; and
the tax treatment of rebuilding.
I hope the following general information helps clarify these issues and helps taxpayers
determine what amount of their claims can be used to rebuild their lives or replace their
losses, as you noted in your letter. While the law in this area is complex, at the end of
this letter, we have provided links to additional resources your constituents may find
useful.
Some Fire Victims Trust Settlement Payments may be Exempt from Tax
Under Section 61 of the Internal Revenue Code (IRC), individuals generally must pay
federal tax on all income from whatever source. As mentioned in your letter, certain IRC
provisions exclude from income amounts from lawsuit settlements for specific types of
damages.
2
IRC Section 104(a)(2) provides that gross income does not include any damages, other
than punitive damages, on account of personal physical injuries and physical sickness.
Taxpayers may only exclude damages for emotional distress or mental anguish if the
damages are on account of personal physical injuries or sickness, or are for actual
reimbursement of medical expenses thatthe taxpayer did not deduct under IRC Section
213. IRC Section 213 allows a taxpayer to deduct expenses the taxpayer paid for the
medical care of the taxpayer, a spouse, or dependents that are not compensated for by
insurance or otherwise.
IRC Section 139 provides that gross income does not include any amount an individual
receives as a qualified disaster payment. Under IRC Section 139(b), a qualified disaster
payment means amounts paid to, or for the benefit of, an individual for several
purposes, including:
to reimburse or pay reasonable and necessary personal, family, living, or funeral
expenses the individual incurred as a result of a qualified disaster; or
to reimburse or pay reasonable and necessary expenses the individual incurred
for the repair or rehabilitation of a personal residence or repair or replacement of
its contents, to the extent that the need for such repair, rehabilitation, or
1
replacement is attributable to a qualified disaster.
For any federally-declared disaster, an individual may exclude from income a valid
disaster relief payment, which includes any amounts the individual receives from the
settlement award for a purpose listed above.
For purposes of IRC Section 139, a qualified disaster includes any federally-declared
disaster, as defined in IRC Section 165(i). A federally-declared disaster is any disaster
the President of the United States determines warrants assistance from the federal
government under the Robert T. Stafford Disaster Relief and Emergency Assistance Act
2
(Stafford Act).
A federally-declared disaster area is the area eligible for assistance
3
under the applicable declaration. While the President determined certain areas affected
by the California wildfires during specific incident periods needed assistance from the
federal government, claimants should confirm their particular area was within the
federally-declared disaster area during the disaster declaration period. You can find this
information on the Federal Emergency Management Agency’s website, www.fema.gov.
Rebuilding Amounts may be Tax-Deferred
Generally, IRC Section 1001(a) provides that a taxpayer must recognize gain or loss
realized from the sale or other disposition of property. Proceeds from property losses
1
See IRC Section 139(b)(1) and (2).
2
See Treasury Regulation (Treas. Reg.) Section 1.165-11(b)(1).
3
See Treas. Reg. Section 1.165-11(b)(2).
3
are gains to the extent the proceeds exceed the adjusted basis of the property. IRC
Section 1033 provides an exception to this general rule.
IRC Section 1033 allows taxpayers to defer recognizing gain when property is
converted, compulsorily or involuntarily. An involuntary conversion may happen with
destruction of property in whole or in part, theft of the property; seizure of the property;
condemnation of the property, etc. Destruction of property by wildfire is an example of
involuntary conversion. An involuntary conversion may include a conversion into money.
Under the general rule in IRC Section 1033(a)(2)(A), if the destruction of a property
results in an involuntary conversion into money, the taxpayer recognizes the gain (if
any). However, if the taxpayer elects, the taxpayer does not recognize gain to the extent
the taxpayer purchases qualified replacement property. Qualified replacement property
is property similar or related in service or use to the converted property the taxpayer
purchases within the replacement period in IRC Section 1033(a)(2)(B). Taxpayers who
make this election will recognize gain only to the extent the conversion amount exceeds
the cost of the replacement property. Only those amounts the taxpayer received as
compensation for damages to real or personal property qualify for deferral under IRC
Section 1033.
Available Guidance
The following IRS Publications have more detailed information:
Publication 4345, Settlements – Taxability, for more information on tax
4
implications when claimants receive a settlement.
Publication 976, Disaster Relief, for more information on tax benefits available for
5
disaster victims.
Publication 547, Casualties, Disasters, and Thefts, for more information on the
6
tax treatment of disaster and casualty losses.
Affected individuals can find these publications and updated information online at
IRS.gov. Taxpayers can also get general assistance on their tax questions through the
7
interactive tax law assistant.
4
Available at https://www.irs.gov/pub/irs-pdf/p4345.pdf?msclkid=3b96b1f9a6e311ec93ca08ccc17fba51.
5
Available at https://www.irs.gov/pub/irs-pdf/p976.pdf.
6
Available at https://www.irs.gov/pub/irs-pdf/p547.pdf.
7
Available at https://www.irs.gov/help/ita.
4
I hope this information is helpful. If you have questions, please contact me, or a member
of your staff may contact Amy Klonsky, Chief, National Congressional Affairs Branch, at
202-317-6985.
Sincerely,
Charles P. Rettig
cc: The Honorable Tom McClintock
The Honorable John Garamendi
The Honorable Mike Thompson
The Honorable Jared Huffman
The Honorable Dianne Feinstein
The Honorable Alex Padilla