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Stop Corporate Inversions Act of 2021

USA117th CongressHR-2976| House 
| Updated: 5/4/2021
Lloyd Doggett

Lloyd Doggett

Democratic Representative

Texas

Cosponsors (10)
Marcy Kaptur (Democratic)Raúl M. Grijalva (Democratic)Mark Pocan (Democratic)Steve Cohen (Democratic)Ro Khanna (Democratic)Jim Cooper (Democratic)Eleanor Holmes Norton (Democratic)Janice D. Schakowsky (Democratic)James P. McGovern (Democratic)Jesús G. "Chuy" García (Democratic)

Ways and Means Committee

  • Introduced
  • In Committee
  • On Floor
  • Passed Chamber
  • Enacted
Stop Corporate Inversions Act of 2021 This bill revises 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.
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Timeline
Apr 29, 2021

Latest Companion Bill Action

S 117-1501
Introduced in Senate
May 4, 2021
Introduced in House
May 4, 2021
Referred to the House Committee on Ways and Means.
  • April 29, 2021

    Latest Companion Bill Action

    S 117-1501
    Introduced in Senate


  • May 4, 2021
    Introduced in House


  • May 4, 2021
    Referred to the House Committee on Ways and Means.

Taxation

Related Bills

  • HR 117-1785: No Tax Breaks for Outsourcing Act
  • S 117-1501: Stop Corporate Inversions Act of 2021
  • S 117-714: No Tax Breaks for Outsourcing Act
Administrative law and regulatory proceduresCorporate finance and managementDepartment of the TreasuryForeign and international corporationsIncome tax ratesTaxation of foreign income

Stop Corporate Inversions Act of 2021

USA117th CongressHR-2976| House 
| Updated: 5/4/2021
Stop Corporate Inversions Act of 2021 This bill revises 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.
View Full Text

Suggested Questions

Get AI-generated questions to help you understand this bill better

Timeline
Apr 29, 2021

Latest Companion Bill Action

S 117-1501
Introduced in Senate
May 4, 2021
Introduced in House
May 4, 2021
Referred to the House Committee on Ways and Means.
  • April 29, 2021

    Latest Companion Bill Action

    S 117-1501
    Introduced in Senate


  • May 4, 2021
    Introduced in House


  • May 4, 2021
    Referred to the House Committee on Ways and Means.
Lloyd Doggett

Lloyd Doggett

Democratic Representative

Texas

Cosponsors (10)
Marcy Kaptur (Democratic)Raúl M. Grijalva (Democratic)Mark Pocan (Democratic)Steve Cohen (Democratic)Ro Khanna (Democratic)Jim Cooper (Democratic)Eleanor Holmes Norton (Democratic)Janice D. Schakowsky (Democratic)James P. McGovern (Democratic)Jesús G. "Chuy" García (Democratic)

Ways and Means Committee

Taxation

Related Bills

  • HR 117-1785: No Tax Breaks for Outsourcing Act
  • S 117-1501: Stop Corporate Inversions Act of 2021
  • S 117-714: No Tax Breaks for Outsourcing Act
  • Introduced
  • In Committee
  • On Floor
  • Passed Chamber
  • Enacted
Administrative law and regulatory proceduresCorporate finance and managementDepartment of the TreasuryForeign and international corporationsIncome tax ratesTaxation of foreign income