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S. 2021
U.S. Senate•In Senate Committee
Summary
S. 2021, the Close the Round-Tripping Loophole Act, was introduced in the Senate on Jun 11, 2025 by Sen. Ron Wyden (D) with 3 co-sponsors. It was referred to Finance, and last saw action on Jun 11, 2025: Read twice and referred to the Committee on Finance.
Record
Text
S. 2021 has 3 co-sponsors.
sb2021/introduced-in-senate.txt119 S2021 IS: Close the Round-Tripping Loophole ActU.S. Senate2025-06-11text/xmlENPursuant to Title 17 Section 105 of the United States Code, this file is not subject to copyright protection and is in the public domain.II119th CONGRESS 1st SessionS. 2021IN THE SENATE OF THE UNITED STATESJune 11, 2025Mr. Wyden (for himself, Mr. Warner , Mr. Warnock , and Mr. Welch ) introduced the following bill; which was read twice and referred to the Committee on FinanceA BILLTo amend the Internal Revenue Code of 1986 to exclude round-tripped income for purposes of calculating global intangible low-taxed income, and for other purposes.1.Short titleThis Act may be cited as the Close the Round-Tripping Loophole Act .2.Modification to determination of net deemed intangible income return(a)In generalSection 951A(b)(2)(A) of the Internal Revenue Code of 1986 is amended—(1)by striking 10 percent of the aggregate of and inserting10 percent of the excess (if any) of—(i)the aggregate of, and(2)by adding at the end the following new clause:(ii)an amount equal to the product of the amount determined under clause (i) and the round-tripping ratio, over.(b)Round-Tripping ratioSection 951A(b) of the Internal Revenue Code of 1986 is amended by adding at the end the following new paragraph:(3)Round-tripping ratioFor purposes of this subsection—(A)In generalThe round-tripping ratio means, with respect to any United States shareholder for any taxable year, the percentage (not greater than 100 percent) which is equal to the ratio which—(i)the shareholder’s round-tripped net CFC tested income for such taxable year determined under subparagraph (B), bears to(ii)the shareholder’s net CFC tested income for such taxable year, determined without regard to this paragraph.(B)Shareholder’s round-tripped net CFC tested incomeFor purposes of subparagraph (A)(i), a United States shareholder’s round-tripped net CFC tested income for any taxable year is the net CFC tested income of such shareholder which would be determined under subsection (c) for such taxable year if—(i)the only income taken into account under clause (i) of subsection (c)(2)(A) in determining the tested income or tested loss of each controlled foreign corporation taken into account by such shareholder under subsection (c)(1) for such taxable year were income described in such clause which is derived in connection with—(I)property—(aa)which is sold by the taxpayer to any person who is a United States person, or(bb)which the taxpayer cannot establish to the satisfaction of the Secretary is for foreign use, or(II)services provided by the taxpayer which the taxpayer cannot establish to the satisfaction of the Secretary are provided to any person, or with respect to property, not located within the United States, and(ii)the only deductions taken into account under clause (ii) of subsection (c)(2)(A) in determining such tested income or tested loss were deductions properly allocable to income described in clause (i).(C)Foreign useFor purposes of this subsection, the determination of whether property is for a foreign use shall be made in the same manner as under section 250(b).(D)Exception for certain small taxpayers(i)In generalIn the case of any United States shareholder described in clause (ii), the round-tripping ratio shall be 0 percent.(ii)Taxpayer described(I)In generalA United States shareholder is described in this clause if the average annual gross receipts of such United States shareholder for the 3-taxable year period ending with the taxable year which precedes such taxable year does not exceed $100,000,000.(II)Application of certain rulesRules similar to the rules of paragraphs (2)(B) and (3) of section 59A(e) shall apply for purposes of this clause..(c)Effective dateThe amendments made by this section shall apply taxable years of foreign corporations beginning after the date of the enactment of this Act, and to taxable years of United States shareholders in which or with which such taxable years of foreign corporations end.3.Limitation on deduction for global intangible low-taxed income(a)In generalSection 250(a)(1)(B) of the Internal Revenue Code of 1986 is amended to read as follows:(B)50 percent of the excess (if any) of—(i)the sum of—(I)the global intangible low-taxed income amount (if any) which is included in the gross income of such domestic corporation under section 951A for such taxable year, and(II)the amount treated as a dividend received by such corporation under section 78 which is attributable to the amount described in subclause (I), over(ii)an amount equal to the product of the amount determined under clause (i) and the round-tripping ratio (as determined under section 951A(b)(3)) of such domestic corporation for such taxable year..(b)Effective dateThe amendment made by this section shall apply to taxable years beginning after the date of the enactment of this Act.
Tracker
The tracker indicates the progress of this legislation as it moves through the legislative process.
- Introduced2025-06-11
- Passed Senate
- Passed House
- Conference
- To President
- Became Law
A bill to amend the Internal Revenue Code of 1986 to exclude round-tripped income for purposes of calculating global intangible low-taxed income, and for other purposes.
Sponsors
Sen. Ron Wyden (D) sponsors S. 2021, and 3 members have co-sponsored it, all of them from the day it was introduced.
Committees
S. 2021 went before 1 committee: Finance.
Actions
S. 2021 has taken 2 actions since Jun 11, 2025.
| Chamber | Action | |||
|---|---|---|---|---|
Jun 11, 2025 | Senate | Read twice and referred to the Committee on Finance.Finance Committee | ||
Jun 11, 2025 | — | Introduced in Senate |
Votes
S. 2021 has not gone to a roll call.
Titles
S. 2021 goes by 3 titles, 1 of them short titles.
- Close the Round-Tripping Loophole Act — Display Title
- Close the Round-Tripping Loophole Act — Short Title(s) as Introduced
- A bill to amend the Internal Revenue Code of 1986 to exclude round-tripped income for purposes of calculating global intangible low-taxed income, and for other purposes. — Official Title as Introduced
Lobbying
3 clients hired 3 firms and 6 registered lobbyists who named S. 2021 in 11 quarterly filings, 2025 to 2026. Reported under the Lobbying Disclosure Act; a filing’s income covers everything its registrant worked that quarter, so the amounts below are the filings’, not this bill’s.
Filed under Taxation/Internal Revenue Code, Budget/Appropriations, Health Issues, Banking, Medicare/Medicaid, Small Business, Energy/Nuclear, Immigration.
Clients
Who paid to be heard, by how many filings named the bill.
| Client | Business | State | Firms | Filings | Reported |
|---|---|---|---|---|---|
| SMALL BUSINESS MAJORITY FOUNDATION, INC. | — | California | 1 | 6 | — |
| ALLIANCE FOR BIOPHARMACEUTICAL COMPETITIVENESS AND INNOVATION | Biopharmaceutical industry | District of Columbia | 1 | 3 | $590K |
| ELEKTA, INC. | — | District of Columbia | 1 | 2 | — |
Firms
Registrants who filed on the bill, by filings.
| Registrant | Clients | Filings | Reported |
|---|---|---|---|
| SMALL BUSINESS MAJORITY FOUNDATION, INC. | 1 | 6 | — |
| THE WASHINGTON TAX & PUBLIC POLICY GROUP | 1 | 3 | $590K |
| ELEKTA, INC. | 1 | 2 | — |
Lobbyists
Named on the filings that cite the bill.
| Lobbyist | Firms | Clients | Filings |
|---|---|---|---|
| ALEXIS D'AMATO | 1 | 1 | 6 |
| GREGORY NICKERSON | 1 | 1 | 3 |
| JAMES PEDROTTI | 1 | 1 | 3 |
| ZACHARY PRICE | 1 | 1 | 3 |
| COOKAB HASHEMI | 1 | 1 | 2 |
| CONNOR COURSEY | 1 | 1 | 1 |
Filings
The documents themselves, on the Senate’s Lobbying Disclosure site, largest reported first.
| Client | Registrant | Period | Reported | Document |
|---|---|---|---|---|
| ALLIANCE FOR BIOPHARMACEUTICAL COMPETITIVENESS AND INNOVATION | THE WASHINGTON TAX & PUBLIC POLICY GROUP | 2025 third_quarter | $450K | 3rd Quarter - Report |
| ELEKTA, INC. | ELEKTA, INC. | 2025 third_quarter | $70K | 3rd Quarter - Report |
| ELEKTA, INC. | ELEKTA, INC. | 2025 fourth_quarter | $70K | 4th Quarter - Report |
| ALLIANCE FOR BIOPHARMACEUTICAL COMPETITIVENESS AND INNOVATION | THE WASHINGTON TAX & PUBLIC POLICY GROUP | 2025 fourth_quarter | $70K | 4th Quarter - Report |
| ALLIANCE FOR BIOPHARMACEUTICAL COMPETITIVENESS AND INNOVATION | THE WASHINGTON TAX & PUBLIC POLICY GROUP | 2025 second_quarter | $70K | 2nd Quarter - Report |
| SMALL BUSINESS MAJORITY FOUNDATION, INC. | SMALL BUSINESS MAJORITY FOUNDATION, INC. | 2026 second_quarter | — | 2nd Quarter - Report |
| SMALL BUSINESS MAJORITY FOUNDATION, INC. | SMALL BUSINESS MAJORITY FOUNDATION, INC. | 2026 first_quarter | — | 1st Quarter - Report |
| SMALL BUSINESS MAJORITY FOUNDATION, INC. | SMALL BUSINESS MAJORITY FOUNDATION, INC. | 2025 fourth_quarter | — | 4th Quarter - Report |
| SMALL BUSINESS MAJORITY FOUNDATION, INC. | SMALL BUSINESS MAJORITY FOUNDATION, INC. | 2025 third_quarter | — | 3rd Quarter - Report |
| SMALL BUSINESS MAJORITY FOUNDATION, INC. | SMALL BUSINESS MAJORITY FOUNDATION, INC. | 2025 second_quarter | — | 2nd Quarter - Report |
| SMALL BUSINESS MAJORITY FOUNDATION, INC. | SMALL BUSINESS MAJORITY FOUNDATION, INC. | 2025 first_quarter | — | 1st Quarter - Report |
Classification
The Congressional Research Service files S. 2021 under Taxation, one of its 31 policy areas.
CRS Subjects
CRS assigns every bill one policy area from its 31; S. 2021’s is Taxation.
s2021/policy-areas.txtSource: congress.gov · legiscan.com