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Titles Actions Overview All Actions Cosponsors Committees Related Bills Subjects Latest Summary All Summaries

Titles (3)

Short Titles

Short Titles - House of Representatives

Short Titles as Reported to House

Permanent CFC Look-Through Act of 2015

Short Titles as Introduced

Permanent CFC Look-Through Act of 2015

Official Titles

Official Titles - House of Representatives

Official Title as Introduced

To amend the Internal Revenue Code of 1986 to make permanent the look-through treatment of payments between related controlled foreign corporations.


Actions Overview (2)

Date
10/23/2015Reported (Amended) by the Committee on Ways and Means. H. Rept. 114-309.
03/18/2015Introduced in House

All Actions (6)

Date
10/23/2015Placed on the Union Calendar, Calendar No. 235.
Action By: House of Representatives
10/23/2015Reported (Amended) by the Committee on Ways and Means. H. Rept. 114-309.
09/17/2015Ordered to be Reported (Amended) by the Yeas and Nays: 22 - 11.
Action By: Committee on Ways and Means
09/17/2015Committee Consideration and Mark-up Session Held.
Action By: Committee on Ways and Means
03/18/2015Referred to the House Committee on Ways and Means.
Action By: House of Representatives
03/18/2015Introduced in House
Action By: House of Representatives

Cosponsors (8)


Committees (1)

Committees, subcommittees and links to reports associated with this bill are listed here, as well as the nature and date of committee activity and Congressional report number.

Committee / Subcommittee Date Activity Reports
House Ways and Means03/18/2015 Referred to
09/17/2015 Markup by
10/23/2015 Reported by H. Rept. 114-309

No related bill information was received for H.R.1430.


Subjects (5)


Latest Summary (2)

There are 2 summaries for H.R.1430. View summaries

Shown Here:
Reported to House with amendment(s) (10/23/2015)

Permanent CFC Look-Through Act of 2015

(Sec. 2) This bill amends the Internal Revenue Code to make permanent the tax rule exempting dividends, interest, rents, and royalties received or accrued from certain controlled foreign corporations by a related entity from treatment as foreign holding company income (thus permitting tax deferral of such income).