Only the right has signed this so far (Bill Ranking)
S. 369 · 119th Congress (2025-2026)
1 member · Left 0 · Center 0 · Right 1 (Bill Ranking)
| Sponsor | Sen. Scott, Rick (R-FL) (Introduced 02/03/2025) |
|---|---|
| Sponsor Voting Record | Right · DW-NOMINATE +0.73 · measured from every roll-call vote this member has cast (voteview.com) (Sponsor Ranking) |
| Support |
LLLCLRR support across the spectrum: 1 member signed on (Bill Ranking) this bill: sponsor + current cosponsors, each once |
| Committees | Senate - Finance Committee |
| Latest Action | 02/03/2025 Read twice and referred to the Committee on Finance. |
| Roll Call Votes | There have been no roll call votes |
| Source | view on congress.gov → |
Introduced in Senate (02/03/2025)
No Official Giveaways Of Taxpayers’ Income to Oppressive Nations Act or the NO GOTION Act
This bill prohibits certain entities associated with China, Cuba, Iran, North Korea, Russia, or the Maduro regime of Venezuela from claiming various energy-related federal tax incentives.
Specifically, certain energy-related federal tax incentives may not be claimed by
Such entities may not claim the federal tax credits for
Further, such entities are prohibited from claiming the federal tax deduction for energy efficient improvements to commercial buildings.
Finally, such entities are not entitled to a credit or refund of federal excise taxes paid on biodiesel, alternative fuel, or sustainable aviation fuel mixtures produced by the entities.
119 S369 IS: No Official Giveaways Of Taxpayers’ Income to Oppressive Nations Act U.S. Senate 2025-02-03 text/xml EN Pursuant 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 CONGRESS1st SessionS. 369IN THE SENATE OF THE UNITED STATESFebruary 3, 2025Mr. Scott of Florida introduced the following bill; which was read twice and referred to the Committee on FinanceA BILLTo amend the Internal Revenue Code of 1986 to deny certain green energy tax benefits to companies associated with foreign adversaries.1.Short titleThis Act may be cited as the No Official Giveaways Of Taxpayers’ Income to Oppressive Nations Act or the NO GOTION Act.2.Denial of green energy tax benefits to companies associated with foreign adversaries(a)In generalChapter 77 of the Internal Revenue Code of 1986 is amended by adding at the end the following new section:7531.Denial of green energy tax benefits to companies associated with foreign adversaries(a)In generalIn the case of any disqualified company, this title shall be applied without regard to sections 30C, 40, 40A, 40B, 45, 45Q, 45U, 45V, 45W, 45X, 45Y, 45Z, 48, 48C, 48E, 179D, 6426(c), 6426(d), 6426(e), and 6427(e).(b)Disqualified company(1)In general(A)DefinitionFor purposes of this section, the term disqualified company means any entity described in subparagraphs (B) through (D).(B)Foreign adversary partiesThe entities described in this subparagraph consist of the following:(i)The government of a foreign adversary, any agency or government instrumentality of a foreign adversary, or any entity which is directly or indirectly owned, controlled, or directed by any such government, agency, or government instrumentality.(ii)Any entity organized under the laws of a foreign adversary (or any political subdivision thereof) or whose headquarters is located within a foreign adversary.(C)Owned, controlled, directed, or influenced by foreign adversary partiesThe entities described in this subparagraph consist of the following:(i)Any entity for which, on any date during the taxable year, not less than 10 percent of the outstanding equity interests (by value, voting, governance, board appointment, or similar rights or influence) are held directly or indirectly by, or on behalf of, 1 or more of the entities described in subparagraph (B), including through interests in co-investment vehicles, joint ventures, or similar arrangements.(ii)Any entity which is directly or indirectly controlled, directed, or materially influenced by any entity described in subparagraph (B).(iii)Any entity for which the actions, management, ownership, or operations of such entity are subject to the direct influence of an entity described in subparagraph (B).(iv)Any entity for which an interest in such entity is held by an entity described in subparagraph (B) (referred to in this clause as the beneficiary firm) as a derivative financial instrument or through a contractual arrangement between the beneficiary firm and such entity, including any financial instrument or other contract between the beneficiary firm and the entity which seeks to replicate any financial return with respect to such entity or interest in such entity. (D)Debt or other arrangements with foreign adversary parties(i)In generalAn entity is described in this subparagraph if, as a result of any prohibited obligation or arrangement—(I)the actions, management, or operations of such entity are subject to the direct or indirect influence of 1 or more entities described in subparagraph (B) or (C), or(II)such entity provides a substantial benefit to 1 or more entities described in subparagraph (B) or (C).(ii)Prohibited obligation or arrangementFor purposes of this subparagraph, the term prohibited obligation or arrangement means any—(I)debt, (II)lease or sublease arrangement, (III)management or operating arrangement, (IV)contract manufacturing arrangement, (V)license or sublicense agreement, or(VI)financial derivative.(iii)Exception(I)In generalFor purposes of clause (i)(II), the purchase of equipment or manufacturing inputs in an arm's length transaction shall not, in and of itself, be deemed to provide a substantial benefit.(II)Arm's lengthFor purposes of this clause, the term arm's length has the meaning given in section 1.482–1 of title 26, Code of Federal Regulations.(E)Other definitionsFor purposes of this paragraph—(i)ControlThe term control has the meaning given in section 800.208 of title 31, Code of Federal Regulations (as in effect on the date of enactment of the No Official Giveaways Of Taxpayers’ Income to Oppressive Nations Act).(ii)Foreign adversaryThe term foreign adversary has the meaning given the term covered nation in section 4872(d)(2) of title 10, United States Code, except that such term shall also include—(I)the Republic of Cuba, and(II)the Boliverian Republic of Venezuela during any period of time during which Nicholas Maduro is President of the Republic.(2)AdministrationThe Secretary may issue such guidance as is necessary to carry out the purposes of this section, including establishment of rules for—(A)implementation of paragraph (1)(C)(i) for determination of whether the percentage requirements with respect to outstanding equity interests have been satisfied in the case of an entity for which the stock of such entity is traded on an established securities market in the United States or any foreign country, and(B)preventing entities from evading, circumventing, or abusing the application of the requirements under this section..(b)Clerical amendmentThe table of sections for chapter 77 of such Code is amended by adding at the end the following new item:Sec. 7531. Denial of green energy tax benefits to companies associated with foreign adversaries..(c)Effective dateThe amendments made by this section shall apply to taxable years beginning after the date of the enactment of this Act.
The bill's own words, from our database (synced from the GPO BILLS XML); paragraph breaks added at the bill's section boundaries, nothing else changed.
| Date | Chamber | All Actions |
|---|---|---|
| 02/03/2025 | Library of Congress | Introduced in Senate |
| 02/03/2025 | Senate | Read twice and referred to the Committee on Finance. |
| Title Type | Title |
|---|---|
| Display Title | NO GOTION Act |
| Short Title(s) as Introduced | NO GOTION Act |
| Short Title(s) as Introduced | No Official Giveaways Of Taxpayers’ Income to Oppressive Nations Act |
| Official Title as Introduced | A bill to amend the Internal Revenue Code of 1986 to deny certain green energy tax benefits to companies associated with foreign adversaries. |
There are no amendments to this bill.
There are no cosponsors of this bill.
| Committee | Activity |
|---|---|
| Senate - Finance Committee | 02/03/2025 Referred To |
No related bill information was received for S. 369.
Policy Area: Taxation
No legislative subjects have been assigned yet.
All data on this page comes from our own database (legislation.congress_* tables), synced daily from the GPO govinfo BILLSTATUS and BILLS collections. Formatted after congress.gov; nothing is generated. Member placement is their DW-NOMINATE score (voteview.com, Lewis et al.) - a measurement of roll-call voting behavior, not our judgement. Buckets: Left below −0.50 · Lean Left to −0.25 · Center to +0.25 · Lean Right to +0.50 · Right above +0.50. The bill's Support meter aggregates the people who signed the bill - sponsor and current cosponsors, each counted once - nothing else.