S-1636 : Still Just a Bill

Stop Corporate Inversions Act of 2017

This bill amends the Internal Revenue Code to revise rules for the taxation of inverted corporations (i.e., U.S. corporations that acquire foreign companies to reincorporate in a foreign jurisdiction with income tax rates lower than the United States). The bill provides that a foreign corporation that acquires the properties of a U.S. corporation or partnership after May 8, 2014, shall be treated as an inverted corporation and thus subject to U.S. taxation if, after such acquisition: (1) it holds more than 50% of the stock of the new entity (expanded affiliated group), or (2) the management or control of the new entity occurs primarily within the United States and the new entity has significant domestic business activities.

 

Action Timeline

Action DateTypeTextSource
2017-07-26IntroReferralRead twice and referred to the Committee on Finance. (text of measure as introduced: CR S4301-4302)Senate
2017-07-26IntroReferralIntroduced in SenateLibrary of Congress

Policy Area :

Taxation
See Subjects
  • Administrative law and regulatory procedures
  • Corporate finance and management
  • Foreign and international corporations
  • Income tax rates
  • Taxation of foreign income
  • Department of the Treasury

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