1. Short title
This Act may be cited as the “Blocking New Corporate Tax Giveaways Act”.
A BILL
To amend the Internal Revenue Code of 1986 to clarify that high-taxed amounts are excluded from tested income for purposes of determining global intangible low-taxed income only if such amounts would be foreign base company income or insurance income.
“(III) any gross income of such corporation—
“(aa) which, without regard to section 954(b)(4), is treated as foreign base company income (as defined in section 954) or insurance income (as defined in section 953), but
“(bb) which, after the application of section 954(b)(4), is not so treated,”