Taiwan Tax Agreement Act of 2023

3/12/2024, 10:02 AM

Summary of Bill S 1457

Bill 118 s 1457, also known as the Taiwan Tax Agreement Act of 2023, is a piece of legislation introduced in the US Congress. The main purpose of this bill is to establish a tax agreement between the United States and Taiwan. This agreement aims to promote economic cooperation and prevent double taxation for individuals and businesses operating in both countries.

The bill outlines the specific terms of the tax agreement, including provisions for the exchange of tax information between the two countries, as well as guidelines for resolving any disputes that may arise. It also sets out the procedures for implementing the agreement and ensuring compliance with its terms.

Overall, the Taiwan Tax Agreement Act of 2023 is designed to strengthen the economic relationship between the United States and Taiwan by providing a framework for fair and efficient tax treatment for individuals and businesses operating in both countries. It is an important step towards promoting trade and investment between the two nations while also ensuring that taxpayers are not unfairly burdened by double taxation.

Congressional Summary of S 1457

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 reports. 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.

Current Status of Bill S 1457

Bill S 1457 is currently in the status of Bill Introduced since May 4, 2023. Bill S 1457 was introduced during Congress 118 and was introduced to the Senate on May 4, 2023.  Bill S 1457's most recent activity was Placed on Senate Legislative Calendar under General Orders. Calendar No. 151. as of July 25, 2023

Bipartisan Support of Bill S 1457

Total Number of Sponsors
1
Democrat Sponsors
1
Republican Sponsors
0
Unaffiliated Sponsors
0
Total Number of Cosponsors
32
Democrat Cosponsors
12
Republican Cosponsors
20
Unaffiliated Cosponsors
0

Policy Area and Potential Impact of Bill S 1457

Primary Policy Focus

International Affairs

Potential Impact Areas

AsiaCongressional oversightInternational law and treatiesTaiwanTax administration and collection, taxpayersTaxation of foreign income

Alternate Title(s) of Bill S 1457

Taiwan Tax Agreement Act of 2023Taiwan Tax Agreement Act of 2023Taiwan Tax Agreement Act of 2023A bill to authorize negotiation and conclusion and to provide for congressional consideration of a tax agreement between the American Institute in Taiwan (AIT) and the Taipei Economic and Cultural Representative Office (TECRO).
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