Us Congress 2025-2026 Regular Session

Us Congress House Bill HB1911 Compare Versions

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11 I
22 119THCONGRESS
33 1
44 STSESSION H. R. 1911
55 To amend the Internal Revenue Code of 1986 to provide that certain pay-
66 ments to foreign related parties subject to sufficient foreign tax are
77 not treated as base erosion payments.
88 IN THE HOUSE OF REPRESENTATIVES
99 MARCH6, 2025
1010 Mr. C
1111 ONAWAY(for himself, Mr. SUOZZI, and Mr. VANDREW) introduced the
1212 following bill; which was referred to the Committee on Ways and Means
1313 A BILL
1414 To amend the Internal Revenue Code of 1986 to provide
1515 that certain payments to foreign related parties subject
1616 to sufficient foreign tax are not treated as base erosion
1717 payments.
1818 Be it enacted by the Senate and House of Representa-1
1919 tives of the United States of America in Congress assembled, 2
2020 SECTION 1. CERTAIN PAYMENTS TO FOREIGN RELATED 3
2121 PARTIES SUBJECT TO SUFFICIENT FOREIGN 4
2222 TAX NOT TREATED AS BASE EROSION PAY-5
2323 MENTS. 6
2424 (a) I
2525 NGENERAL.—Section 59A of the Internal Rev-7
2626 enue Code of 1986 is amended by redesignating subsection 8
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3030 (i) as subsection (j) and by inserting after subsection (h) 1
3131 the following new subsection: 2
3232 ‘‘(i) C
3333 ERTAINPAYMENTS TO FOREIGNRELATED 3
3434 P
3535 ARTIESSUBJECT TOSUFFICIENTFOREIGNTAXNOT 4
3636 T
3737 REATED ASBASEEROSIONPAYMENTS.— 5
3838 ‘‘(1) I
3939 N GENERAL.—An amount shall not be 6
4040 treated as a base erosion payment if the taxpayer es-7
4141 tablishes to the satisfaction of the Secretary that— 8
4242 ‘‘(A) the foreign person to whom such 9
4343 amount is paid or incurred is subject to an ef-10
4444 fective rate of foreign income tax of at least 15 11
4545 percent, and 12
4646 ‘‘(B) such amount is subject to an effective 13
4747 rate of foreign income tax of at least 15 per-14
4848 cent. 15
4949 ‘‘(2) D
5050 ETERMINATION OF EFFECTIVE RATE ON 16
5151 BASIS OF APPLICABLE FINANCIAL STATEMENTS .— 17
5252 Except as otherwise provided by the Secretary, the 18
5353 effective rate of foreign income tax may be estab-19
5454 lished on the basis of applicable financial statements 20
5555 (as defined in section 451(b)(3)) with appropriate 21
5656 adjustments (as determined by the Secretary) for ex-22
5757 cluded dividends, net tax expense, excluded equity 23
5858 gain or loss, included revaluation method gain or 24
5959 loss, gain or loss from intragroup transfers of assets 25
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6262 •HR 1911 IH
6363 and liabilities, asymmetric foreign currency gains or 1
6464 losses, bribes, illegal payments, large penalties, prior 2
6565 period errors and changes in accounting methods, 3
6666 accrued pension expenses, and such other items as 4
6767 the Secretary may provide. 5
6868 ‘‘(3) F
6969 OREIGN INCOME TAX .—For purposes of 6
7070 this subsection, the term ‘‘foreign income taxes’’ 7
7171 means any income, war profits, or excess profits 8
7272 taxes paid or accrued to any foreign country or to 9
7373 any possession of the United States.’’. 10
7474 (b) R
7575 EGULATIONS.—Section 59A(j) of such Code, as 11
7676 redesignated by subsection (a), is amended by striking 12
7777 ‘‘and’’ at the end of paragraph (1), by striking the period 13
7878 at the end of paragraph (2) and inserting ‘‘, and’’, and 14
7979 by adding at the end the following new paragraph: 15
8080 ‘‘(3) for the application of subsection (i), in-16
8181 cluding— 17
8282 ‘‘(A) procedures for determining the effec-18
8383 tive rate of foreign income tax, and 19
8484 ‘‘(B) rules to the prevent tax avoidance or 20
8585 abuse, including rules for recharacterizing a 21
8686 transaction or series of transactions among re-22
8787 lated parties.’’. 23
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9191 (c) EFFECTIVEDATE.—The amendments made by 1
9292 this section shall apply to taxable years beginning after 2
9393 the date of the enactment of this Act. 3
9494 Æ
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