HR. 363In Committee

Territorial Economic Recovery Act

Excludes certain controlled foreign corporation income earned through active business in U.S. territories from GILTI tax calculations

What this bill does

Excludes certain controlled foreign corporation income earned through active business in U.S. territories from GILTI tax calculations

Key points
  • Exclude territorial CFC income
  • Define qualified possession corporation

Where it stands

Status
In Committee
Latest action
2025-01-13Referred to the House Committee on Ways and Means.

Topics and policy areas

undefinedAmerican SamoaGuamIncome tax exclusionNorthern Mariana IslandsPuerto RicoTaxationTaxation of foreign income