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HOUSE 4729118th CongressReferred to the Committee on Ways and Means, and in addition to the Committee on Rules, for a period to be subsequently determined by the Speaker, in each case for consideration of such provisions as fall within the jurisdiction of the committee concerned.

Taiwan Tax Agreement Act of 2023

Last Action
7/19/2023

Actions

  • 2023-07-19Referred to the Committee on Ways and Means, and in addition to the Committee on Rules, for a period to be subsequently determined by the Speaker, in each case for consideration of such provisions as fall within the jurisdiction of the committee concerned.
  • 2023-07-19Referred to the Committee on Ways and Means, and in addition to the Committee on Rules, for a period to be subsequently determined by the Speaker, in each case for consideration of such provisions as fall within the jurisdiction of the committee concerned.
  • 2023-07-19Introduced in House
  • 2023-07-19Introduced in House

CRS Summary

As of 2023-07-19 (00)

Taiwan Tax Agreement Act of 2023

This bill authorizes the United States to enter into a tax agreement with Taiwan.

Specifically, the President may, through the American Institute in Taiwan (AIT), negotiate and enter into a tax agreement with the Taipei Economic and Cultural Representative Office (TECRO). (The U.S.-Taiwan relationship is unofficial; TECRO is Taiwan's principal representative office in the United States, while the AIT, a private corporation, performs many of the same functions as U.S. embassies elsewhere.)

The agreement must address issues including (1) the taxation of tax residents of Taiwan, the United States, or both; (2) relief from double taxation; and (3) protection against tax evasion or avoidance. The agreement must conform with the 2016 U.S. Model Income Tax Convention and other customary U.S. bilateral income tax convention terms.

The bill requires the President to notify Congress 15 days before negotiations begin and provide periodic briefings. The Department of the Treasury must brief Congress upon request and provide timely updates during the course of negotiations.

The negotiated agreement may only take legal effect upon submission of the agreement to Congress and the approval of a concurrent resolution in a form prescribed by the bill. The agreement, once in force, must be afforded the same treatment as a treaty under U.S. law.

Cosponsors (19)

  • Michael McCaul (R-TX)
  • GREGORY MEEKS (D-NY)
  • Andy Barr (R-KY)
  • Ami Bera (D-CA)
  • Guy Reschenthaler (R-PA)
  • Ruben Gallego (D-AZ)
  • Ann Wagner (R-MO)
  • Greg Stanton (D-AZ)
  • John Curtis (R-UT)
  • Young Kim (R-CA)
  • Pat Fallon (R-TX)
  • Colin Allred (D-TX)
  • Troy Balderson (R-OH)
  • Monica De La Cruz (R-TX)
  • Russell Fry (R-SC)
  • Mario Diaz-Balart (R-FL)
  • Mary Peltola (D-AK)
  • Marcus Molinaro (R-NY)
  • Chris Pappas (D-NH)

Subjects

  • Asia
  • Congressional oversight
  • International law and treaties
  • Taiwan
  • Tax administration and collection, taxpayers
  • Taxation of foreign income
Read on Congress.gov

Sourced from Congress.gov (public domain).

This is legal information, not legal advice. Laws vary by jurisdiction and change frequently. Always verify current law with official sources and consult a licensed attorney in your jurisdiction for advice on your specific situation.