Pipeline · Bill → Law
Step 1
Introduced
Feb 9, 2023
Step 2
Referred
Feb 9, 2023
Finance
Step 3
Committee
Step 4
Senate
Step 5
House floor
Step 6
Resolve Changes
Step 7
Signed
SummaryCRS Summary
This bill modifies the tax treatment of the foreign source income of domestic corporations. The bill includes provisions that modify calculations of the gross income of U.S. shareholders to include net controlled foreign corporation (CFC) tested income in the current taxable year; apply limitations on the foreign tax credit on a country-by-country basis; limit the tax deduction for the interest expense of a U.S. corporation that is a member of an international financial reporting group (i.e., a group that prepares consolidated financial statements according to generally accepted accounting principles or international financial reporting standards); modify the rules for the taxation of inve...
Timeline · 2 actions
Feb 9, 2023
Introduced in Senate
Feb 9, 2023
Read twice and referred to the Committee on Finance.