Senate
File
2292
-
Introduced
SENATE
FILE
2292
BY
COMMITTEE
ON
COMMERCE
(SUCCESSOR
TO
SSB
3105)
A
BILL
FOR
An
Act
creating
a
state
corporate
income
tax
deduction
for
net
1
controlled
foreign
corporation
tested
income,
and
including
2
retroactive
applicability
provisions.
3
BE
IT
ENACTED
BY
THE
GENERAL
ASSEMBLY
OF
THE
STATE
OF
IOWA:
4
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5960SV
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S.F.
2292
Section
1.
Section
422.35,
subsection
12,
Code
2026,
is
1
amended
to
read
as
follows:
2
12.
Subtract,
to
the
extent
included,
global
intangible
3
low-taxed
income
under
section
951A
of
the
Internal
Revenue
4
Code.
5
Sec.
2.
RETROACTIVE
APPLICABILITY.
This
Act
applies
6
retroactively
to
January
1,
2026,
for
tax
years
beginning
on
7
or
after
that
date.
8
EXPLANATION
9
The
inclusion
of
this
explanation
does
not
constitute
agreement
with
10
the
explanation’s
substance
by
the
members
of
the
general
assembly.
11
This
bill
creates
a
state
corporate
income
tax
deduction
for
12
net
controlled
foreign
corporation
tested
income
(NCTI).
13
Currently,
Code
section
422.35(12)
specifically
references
14
global
intangible
low-taxed
income
(GILTI)
under
section
951A
15
of
the
Internal
Revenue
Code
(IRC)
for
purposes
of
a
state
16
corporate
income
tax
deduction
allowed
under
that
Code
section.
17
Recent
federal
legislation
replaced
GILTI
with
NCTI
under
18
section
951A
of
the
IRC.
NCTI
is
the
aggregate
amount
of
net
19
income
subject
to
federal
tax
that
is
earned
by
a
taxpayer
from
20
controlled
foreign
corporations
of
the
taxpayer,
and
is
applied
21
more
broadly
to
foreign
income
than
GILTI.
22
Since
the
federal
legislation
replaced
GILTI
with
NCTI
in
23
the
same
section
of
the
IRC
(951A),
the
state
corporate
income
24
tax
deduction
no
longer
applies
because
Code
section
422.35(12)
25
specifically
references
GILTI
income
under
section
951A
of
the
26
IRC.
The
bill
strikes
the
specific
reference
to
GILTI
but
27
continues
to
allow
the
deduction
for
income
under
section
951A
28
of
the
IRC
which
is
now
recharacterized
as
NCTI.
29
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