This resolution directs the Department of the Treasury to transmit to the House of Representatives, not later than 14 days after the adoption of this resolution, copies of any document, memo, correspondence, or other communication that refers or relates to (1) United States Pillar One tax revenue modeling data and reports estimating the impact of the OECD Pillar One agreement on reallocating taxing rights from the United States to foreign jurisdictions, or (2) the economic effects of the OECD Pillar One agreement on the U.S. Treasury. The OECD Pillar One agreement expands a country's authority to tax profits from companies that make sales into their country but don't have a physical location there.
[Congressional Bills 117th Congress]
[From the U.S. Government Publishing Office]
[H. Res. 1269 Introduced in House (IH)]
<DOC>
117th CONGRESS
2d Session
H. RES. 1269
Of inquiry directing the Secretary of the Treasury to provide certain
documents in the Secretary's possession to the House of Representatives
relating to the impact of the OECD Pillar One agreement on the United
States Treasury.
_______________________________________________________________________
IN THE HOUSE OF REPRESENTATIVES
July 26, 2022
Mr. Hern (for himself and Mr. Brady) submitted the following
resolution; which was referred to the Committee on Ways and Means
_______________________________________________________________________
RESOLUTION
Of inquiry directing the Secretary of the Treasury to provide certain
documents in the Secretary's possession to the House of Representatives
relating to the impact of the OECD Pillar One agreement on the United
States Treasury.
Resolved, That the Secretary of the Treasury is directed to
transmit to the House of Representatives, not later than 14 days after
the adoption of this resolution, copies of any document, memo,
correspondence, or other communication of the Department of Treasury in
the Secretary's possession, that refers or relates to--
(1) United States Pillar One tax revenue modeling data and
reports estimating the direct and indirect impact of the OECD
Pillar One agreement on reallocating taxing rights from the
United States to foreign jurisdictions, or
(2) the economic effects of the OECD Pillar One agreement
on the United States Treasury.
<all>
Introduced in House
Introduced in House
Referred to the House Committee on Ways and Means.
Committee Consideration and Mark-up Session Held.
Ordered to be Reported Adversely by Voice Vote.
Reported adversely by the Committee on Ways and Means. H. Rept. 117-518.
Reported adversely by the Committee on Ways and Means. H. Rept. 117-518.
Placed on the House Calendar, Calendar No. 125.
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