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1 bill on this topic
“U.S. shareholders should have to pay current U.S. tax on more income from foreign subsidiaries they control, including income tied to foreign business assets, income already highly taxed abroad, and some foreign oil-related income.”
1 bill on this topic
“A foreign corporation should be taxed as a U.S. corporation if it is mainly managed and controlled from the United States and is publicly traded or has at least $50 million in gross assets, with investor assets counted for certain investment managers.”
1 bill on this topic
“A foreign-parent corporate group should be taxed as a U.S. company when former U.S. owners keep more than half of the foreign parent, or when the group is mainly run from the United States and has significant U.S. business activity, unless it has a strong real business presence in the foreign country.”
1 bill on this topic
“Corporations should be able to count all qualifying foreign taxes paid on tested income, but foreign tax credit limits should be calculated by country and later-year credits should not reduce taxes from earlier years.”
1 bill on this topic
“Large domestic and foreign trusts connected to ultra-wealthy taxpayers or U.S. beneficiaries should trigger tax when they distribute certain property, make certain beneficiary loans, or pass delayed gains to U.S. beneficiaries.”
1 bill on this topic
“Banks, businesses, and others connected to assets should report value information to help the IRS enforce the wealth tax, and Treasury should use foreign account data and address assets held through foreign entities.”
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