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Bill > SSB3105


IA SSB3105

IA SSB3105
A bill for an act creating a state corporate income tax deduction for net controlled foreign corporation tested income, and including retroactive applicability provisions.(See SF 2292.)


summary

Introduced
02/03/2026
In Committee
02/03/2026
Crossed Over
Passed
Dead

Introduced Session

91st General Assembly

Bill Summary

This bill creates a state corporate income tax deduction for net controlled foreign corporation tested income (NCTI). Currently, Code section 422.35(12) specifically references global intangible low-taxed income (GILTI) under section 951A of the Internal Revenue Code (IRC) for purposes of a state corporate income tax deduction allowed under that Code section. Recent federal legislation replaced GILTI with NCTI under section 951A of the IRC. NCTI is the aggregate amount of net income subject to federal tax that is earned by a taxpayer from controlled foreign corporations of the taxpayer, and is applied more broadly to foreign income than GILTI. Since the federal legislation replaced GILTI with NCTI in the same section of the IRC (951A), the state corporate income tax deduction no longer applies because Code section 422.35(12) specifically references GILTI income under section 951A of the IRC. The bill strikes the specific reference to GILTI but continues to allow the deduction for income under section 951A of the IRC which is now recharacterized as NCTI.

Committee Categories

Business and Industry

Sponsors (0)

No sponsors listed

Other Sponsors (1)

Commerce (Senate)

Last Action

Committee report approving bill, renumbered as SF 2292. (on 02/11/2026)

bill text


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