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S. 4761

U.S. SenateIn Senate Committee

Summary

S. 4761, the Tax Court Parity Act, was introduced in the Senate on Jun 11, 2026 by Sen. Tim Scott (R) with 1 co-sponsor. It was referred to Finance, and last saw action on Jun 11, 2026: Read twice and referred to the Committee on Finance.


Record

Text

S. 4761 has 1 co-sponsor.

sb4761/introduced-in-senate.txt
119 S4761 IS: Tax Court Parity Act
U.S. Senate
2026-06-11
text/xml
EN
Pursuant to Title 17 Section 105 of the United States Code, this file is not subject to copyright protection and is in the public domain.
II 119th CONGRESS 2d Session S. 4761 IN THE SENATE OF THE UNITED STATES June 11, 2026 Mr. Scott of South Carolina (for himself and Ms. Hassan ) introduced the following bill; which was read twice and referred to the Committee on Finance A BILL
To amend the Internal Revenue Code of 1986 to clarify the authority of the Tax Court to order relief from a judgment or order.
1.
Short title
This Act may be cited as the Tax Court Parity Act .
2.
Clarification of Tax Court authority to order relief from a judgment or order
Section 7481 of the Internal Revenue Code of 1986 is amended—
(1)
by striking and (d), in subsection (a) and inserting (d), and (e), ; and
(2)
by adding at the end the following new subsection:
(e)
Relief from a judgment or order
(1)
Corrections based on clerical mistakes; oversights and omissions
(A)
In general
The Tax Court may correct a clerical mistake, or a mistake arising from oversight or omission, whenever one is found in a judgment, order, or other part of the record. The Tax Court may do so on motion or on its own, with or without notice.
(B)
Appellate court leave required on appeal
After an appeal has been docketed in the appellate court, and while such appeal is pending, any such mistake may be corrected only with the appellate court’s leave.
(2)
Grounds for relief from a final judgment or order
On motion and just terms, the Tax Court may relieve a party or its legal representative from a final judgment or order for any of the following reasons:
(A)
Mistake, inadvertence, surprise, or excusable neglect.
(B)
Newly discovered evidence that, with reasonable diligence, could not have been discovered in time to move for a new trial under rules prescribed by the Court and that would have a reasonable likelihood of changing the outcome.
(C)
Fraud (whether previously called intrinsic or extrinsic), misrepresentation, or misconduct by an opposing party.
(D)
The judgment is void.
(E)
Any other circumstance where justice so requires.
(3)
Timing and effect of the motion
(A)
Timing
A motion under paragraph (2)—
(i)
must be made within a reasonable time, and
(ii)
in the case of a reason described in subparagraphs (A), (B), or (C), not later than 1 year after the entry of the judgment or order.
(B)
Effect on finality
While pending, any such motion does not affect the judgment’s finality or suspend its operation.
(4)
Other powers to grant relief
This subsection shall not limit the Tax Court’s power to set aside a judgment for fraud on the Tax Court.
(5)
Court of appeals jurisdiction
If the Tax Court provides relief from a judgment or order that is otherwise final under this section, either or both parties may obtain review of such relief by filing a notice of appeal under this subchapter within 90 days of the Court’s judgment or order directing such relief.
.

Tracker

The tracker indicates the progress of this legislation as it moves through the legislative process.

  1. Introduced2026-06-11
  2. Passed Senate
  3. Passed House
  4. Conference
  5. To President
  6. Became Law

A bill to amend the Internal Revenue Code of 1986 to clarify the authority of the Tax Court to order relief from a judgment or order.

Sponsors

Sen. Tim Scott (R) sponsors S. 4761, and 1 member has co-sponsored it from the day it was introduced.

Committees

S. 4761 went before 1 committee: Finance.

Finance
Finance
Referred To · Jun 11, 2026 · 902 Bills

Actions

S. 4761 has taken 2 actions since Jun 11, 2026.

ChamberAction
Jun 11, 2026
Senate
Read twice and referred to the Committee on Finance.Finance Committee
Jun 11, 2026
Introduced in Senate

Votes

S. 4761 has not gone to a roll call.

1 bill is related to S. 4761.

Titles

S. 4761 goes by 3 titles, 1 of them short titles.

  • Tax Court Parity Act — Display Title
  • Tax Court Parity Act — Short Title(s) as Introduced
  • A bill to amend the Internal Revenue Code of 1986 to clarify the authority of the Tax Court to order relief from a judgment or order. — Official Title as Introduced

Classification

The Congressional Research Service files S. 4761 under Taxation, one of its 31 policy areas.

CRS Subjects

CRS assigns every bill one policy area from its 31; S. 4761’s is Taxation.

s4761/policy-areas.txt
TaxationAgriculture and FoodAnimalsArmed Forces and National SecurityArts, Culture, ReligionCivil Rights and Liberties, Minority IssuesCommerceCongressCrime and Law EnforcementEconomics and Public FinanceEducationEmergency ManagementEnergyEnvironmental ProtectionFamiliesFinance and Financial SectorForeign Trade and International FinanceGovernment Operations and PoliticsHealthHousing and Community DevelopmentImmigrationInternational AffairsLabor and EmploymentLawNative AmericansPublic Lands and Natural ResourcesScience, Technology, CommunicationsSocial WelfareSports and RecreationTransportation and Public WorksWater Resources Development

Source: congress.gov · legiscan.com