No Official Giveaways Of Taxpayers’ Income to Oppressive Nations Act
A BILL
To amend the Internal Revenue Code of 1986 to deny certain green energy tax benefits to companies connected to certain countries of concern.
Sec. 2 Denial of green energy tax benefits to companies connected to countries of concern
“7531. Denial of green energy tax benefits to companies connected to countries of concern
“(a) In general—In the case of any disqualified company, this title shall be applied without regard to sections 30C, 40, 40A, 40B, 45, 45Q, 45U, 45V, 45W, 45X, 45Y, 45Z, 48, 48C, 48E, 179D, 6426(c), 6426(d), 6426(e), and 6427(e).
“(b) Disqualified company—For purposes of this section—
“(1) In general—The term disqualified company means—
“(A) any entity—
“(i) controlled by the government of 1 or more countries of concern, or
“(ii) organized under the laws of a country of concern,
“(B) any entity controlled by an entity described in subparagraph (A), or
“(C) any entity owned by an entity described in subparagraph (A), including any entity for which, on any date during the most recent 12-month period, not less than 25 percent of the equity interests in such entity are held directly or indirectly by 1 or more entities described in subparagraph (A), including through—
“(i) interests in co-investment vehicles, joint ventures, or similar arrangements, or
“(ii) any derivative financial instrument or contractual arrangement between the entity and an entity described in subparagraph (A), including any such instrument or contract that seeks to replicate any financial return with respect to such entity or interest in such entity.
“(2) Country of concern—The term country of concern means—
“(A) the People’s Republic of China,
“(B) the Russia Federation,
“(C) the Islamic Republic of Iran,
“(D) the Democratic People’s Republic of Korea,
“(E) the Republic of Cuba,
“(F) the Boliverian Republic of Venezuela during any period of time during which Nicholas Maduro is President of the Republic, or
“(G) the Syrian Arab Republic.
“(3) Control—The term “control” has the meaning given such term under section 954(d)(3), determined by treating the rules of section 958(a)(2) as applying to both foreign and domestic corporations, partnerships, trusts, and estates.”