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I
116TH CONGRESS
1ST SESSION H. R. 1516
To amend the Internal Revenue Code of 1986 to impose a tax on certain
trading transactions.
IN THE HOUSE OF REPRESENTATIVES
MARCH 5, 2019
Mr. DEFAZIO (for himself, Mr. CICILLINE, Ms. DELAURO, Mr. GRIJALVA, Ms.
JAYAPAL, Mr. KHANNA, Mr. LOWENTHAL, Mr. MCGOVERN, Mrs.
NAPOLITANO, Ms. NORTON, Ms. OCASIO-CORTEZ, Ms. PINGREE, Mr.
POCAN, Mr. SARBANES, Ms. SCHAKOWSKY, Mr. WELCH, and Mr.
COHEN) introduced the following bill; which was referred to the Com-
mittee on Ways and Means
A BILL
To amend the Internal Revenue Code of 1986 to impose
a tax on certain trading transactions.
Be it enacted by the Senate and House of Representa-
1
tives of the United States of America in Congress assembled,
2
SECTION 1. SHORT TITLE.
3
This Act may be cited as the ‘‘Wall Street Tax Act
4
of 2019’’.
5
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SEC. 2. TRANSACTION TAX.
1
(a) IN GENERAL.—Chapter 36 of the Internal Rev-
2
enue Code of 1986 is amended by inserting after sub-
3
chapter B the following new subchapter:
4
‘‘Subchapter C—Tax on Trading Transactions
5
‘‘Sec. 4475. Tax on trading transactions.
‘‘Sec. 4476. Derivative defined.
‘‘SEC. 4475. TAX ON TRADING TRANSACTIONS.
6
‘‘(a) IMPOSITION OF TAX.—There is hereby imposed
7
a tax on each covered transaction with respect to any secu-
8
rity.
9
‘‘(b) RATE OF TAX.—The tax imposed under sub-
10
section (a) with respect to any covered transaction shall
11
be 0.1 percent of the specified base amount with respect
12
to such covered transaction.
13
‘‘(c) SPECIFIED BASE AMOUNT.—For purposes of
14
this section, the term ‘specified base amount’ means—
15
‘‘(1) except as provided in paragraph (2), the
16
fair market value of a security (determined as of the
17
time of the covered transaction), and
18
‘‘(2) in the case of any payment with respect to
19
a derivative, the amount of such payment.
20
‘‘(d) COVERED TRANSACTION.—For purposes of this
21
section—
22
‘‘(1) IN GENERAL.—The term ‘covered trans-
23
action’ means—
24
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‘‘(A) except as provided in subparagraph
1
(B), any purchase if—
2
‘‘(i) such purchase occurs on, or is
3
subject to the rules of, a qualified board or
4
exchange located in the United States, or
5
‘‘(ii) the purchaser or seller is a
6
United States person, and
7
‘‘(B) any transaction with respect to a de-
8
rivative if—
9
‘‘(i) such derivative is traded on, or is
10
subject to the rules of, a qualified board or
11
exchange located in the United States, or
12
‘‘(ii) any party with rights under such
13
derivative is a United States person.
14
‘‘(2) EXCEPTION FOR INITIAL ISSUES.—No tax
15
shall be imposed under subsection (a) on any cov-
16
ered transaction with respect to the initial issuance
17
of any security described in subparagraph (A), (B),
18
or (C) of subsection (e)(1).
19
‘‘(e) DEFINITIONS AND SPECIAL RULES.—For pur-
20
poses of this section—
21
‘‘(1) SECURITY.—For purposes of this section,
22
the term ‘security’ means—
23
‘‘(A) any share of stock in a corporation,
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‘‘(B) any partnership or beneficial owner-
1
ship interest in a partnership or trust,
2
‘‘(C) except as provided in paragraph (2),
3
any note, bond, debenture, or other evidence of
4
indebtedness, and
5
‘‘(D) any derivative (as defined in section
6
4476).
7
‘‘(2) EXCEPTION FOR CERTAIN TRADED SHORT-
8
TERM INDEBTEDNESS.—A note, bond, debenture, or
9
other evidence of indebtedness which—
10
‘‘(A) is traded on, or is subject to the rules
11
of, a qualified board or exchange located in the
12
United States, and
13
‘‘(B) has a fixed maturity of not more
14
than 100 days,
15
shall not be treated as described in paragraph
16
(1)(C).
17
‘‘(3) QUALIFIED BOARD OR EXCHANGE.—The
18
term ‘qualified board or exchange’ has the meaning
19
given such term by section 1256(g)(7).
20
‘‘(f) BY WHOM PAID.—
21
‘‘(1) IN GENERAL.—The tax imposed by this
22
section shall be paid by—
23
‘‘(A) in the case of a transaction which oc-
24
curs on, or is subject to the rules of, a qualified
25
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board or exchange located in the United States,
1
such qualified board or exchange, and
2
‘‘(B) in the case of a purchase not de-
3
scribed in subparagraph (A) which is executed
4
by a broker (as defined in section 6045(c)(1))
5
which is a United States person, such broker.
6
‘‘(2) SPECIAL
RULES
FOR
DIRECT,
ETC.,
7
TRANSACTIONS.—In the case of any transaction to
8
which paragraph (1) does not apply, the tax imposed
9
by this section shall be paid by—
10
‘‘(A) in the case of a transaction described
11
in subsection (d)(1)(A)—
12
‘‘(i) the purchaser if the purchaser is
13
a United States person, and
14
‘‘(ii) the seller if the purchaser is not
15
a United States person, and
16
‘‘(B) in the case of a transaction described
17
in subsection (d)(1)(B)—
18
‘‘(i) the payor if the payor is a United
19
States person, and
20
‘‘(ii) the payee if the payor is not a
21
United States person.
22
‘‘(g) TREATMENT OF EXCHANGES AND PAYMENTS
23
WITH RESPECT TO DERIVATIVES.—For purposes of this
24
section—
25
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‘‘(1) TREATMENT OF EXCHANGES.—
1
‘‘(A) IN GENERAL.—An exchange shall be
2
treated as the sale of the property transferred
3
and a purchase of the property received by each
4
party to the exchange.
5
‘‘(B) CERTAIN DEEMED EXCHANGES.—In
6
the case of a distribution treated as an ex-
7
change for stock under section 302 or 331, the
8
corporation making such distribution shall be
9
treated as having purchased such stock for pur-
10
poses of this section.
11
‘‘(2) PAYMENTS
WITH
RESPECT
TO
DERIVA-
12
TIVES TREATED AS SEPARATE TRANSACTIONS.—Ex-
13
cept as otherwise provided by the Secretary, any
14
payment with respect to any derivative shall be
15
treated as a separate transaction for purposes of
16
this section.
17
‘‘(h) APPLICATION
TO
TRANSACTIONS
BY
CON-
18
TROLLED FOREIGN CORPORATIONS.—
19
‘‘(1) IN GENERAL.—For purposes of this sec-
20
tion, a controlled foreign corporation shall be treated
21
as a United States person.
22
‘‘(2) SPECIAL RULES FOR PAYMENT OF TAX ON
23
DIRECT, ETC., TRANSACTIONS.—In the case of any
24
transaction which is a covered transaction solely by
25
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•HR 1516 IH
reason of paragraph (1) and which is not described
1
in subsection (f)(1)—
2
‘‘(A) PAYMENT BY UNITED STATES SHARE-
3
HOLDERS.—Any tax which would (but for this
4
paragraph) be payable under subsection (f)(2)
5
by the controlled foreign corporation shall, in
6
lieu thereof, be paid by the United States
7
shareholders of such controlled foreign corpora-
8
tion as provided in subparagraph (B).
9
‘‘(B) PRO
RATA
SHARES.—Each such
10
United States shareholder shall pay the same
11
proportion of such tax as—
12
‘‘(i) the stock which such United
13
States shareholder owns (within the mean-
14
ing of section 958(a)) in such controlled
15
foreign corporation, bears to
16
‘‘(ii) the stock so owned by all United
17
States shareholders in such controlled for-
18
eign corporation.
19
‘‘(C) DEFINITIONS.—For purposes of this
20
subsection, the terms ‘United States share-
21
holder’ and ‘controlled foreign corporation’ have
22
the meanings given such terms in sections
23
951(b) and 957(a), respectively.
24
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‘‘(i) ADMINISTRATION.—The Secretary shall carry
1
out this section in consultation with the Securities and Ex-
2
change Commission and the Commodity Futures Trading
3
Commission.
4
‘‘(j) GUIDANCE; REGULATIONS.—The Secretary
5
shall—
6
‘‘(1) provide guidance regarding such informa-
7
tion reporting concerning covered transactions as the
8
Secretary deems appropriate, and
9
‘‘(2) prescribe such regulations as are necessary
10
or appropriate to prevent avoidance of the purposes
11
of this section, including the use of non-United
12
States persons in such transactions.
13
‘‘SEC. 4476. DERIVATIVE DEFINED.
14
‘‘(a) IN GENERAL.—For purposes of this subchapter,
15
except as otherwise provided in this section, the term ‘de-
16
rivative’ means any contract (including any option, for-
17
ward contract, futures contract, short position, swap, or
18
similar contract) the value of which, or any payment or
19
other transfer with respect to which, is (directly or indi-
20
rectly) determined by reference to one or more of the fol-
21
lowing:
22
‘‘(1) Any share of stock in a corporation.
23
‘‘(2) Any partnership or beneficial ownership
24
interest in a partnership or trust.
25
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•HR 1516 IH
‘‘(3) Any evidence of indebtedness.
1
‘‘(4) Except as provided in subsection (b)(1),
2
any real property.
3
‘‘(5) Any commodity which is actively traded
4
(within the meaning of section 1092(d)(1)).
5
‘‘(6) Any currency.
6
‘‘(7) Any rate, price, amount, index, formula, or
7
algorithm.
8
‘‘(8) Any other item as the Secretary may pre-
9
scribe.
10
Except as provided in regulations prescribed by the Sec-
11
retary to prevent the avoidance of the purposes of this
12
subchapter, such term shall not include any item described
13
in paragraphs (1) through (8).
14
‘‘(b) EXCEPTIONS.—
15
‘‘(1) CERTAIN REAL PROPERTY.—
16
‘‘(A) IN GENERAL.—For purposes of this
17
subchapter, the term ‘derivative’ shall not in-
18
clude any contract with respect to interests in
19
real
property
(as
defined
in
section
20
856(c)(5)(C)) if such contract requires physical
21
delivery of such real property.
22
‘‘(B) OPTIONS TO SETTLE IN CASH.—
23
‘‘(i) IN
GENERAL.—For purposes of
24
subparagraph (A), a contract which pro-
25
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•HR 1516 IH
vides for an option of cash settlement shall
1
not be treated as requiring physical deliv-
2
ery of real property unless the option is—
3
‘‘(I) not exercisable uncondition-
4
ally, and
5
‘‘(II) exercisable only in unusual
6
and exceptional circumstances.
7
‘‘(ii)
OPTION
OF
CASH
SETTLE-
8
MENT.—For purposes of clause (i), a con-
9
tract provides an option of cash settlement
10
if the contract settles in (or could be set-
11
tled in) cash or property other than the
12
underlying real property.
13
‘‘(2) SECURITIES LENDING, SALE-REPURCHASE,
14
AND
SIMILAR
FINANCING
TRANSACTIONS.—To the
15
extent provided by the Secretary, for purposes of
16
this subchapter, the term ‘derivative’ shall not in-
17
clude the right to the return of the same or substan-
18
tially identical securities transferred in a securities
19
lending transaction, sale-repurchase transaction, or
20
similar financing transaction.
21
‘‘(3) OPTIONS RECEIVED IN CONNECTION WITH
22
THE PERFORMANCE OF SERVICES.—For purposes of
23
this subchapter, the term ‘derivative’ shall not in-
24
clude any option described in section 83(e)(3) re-
25
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•HR 1516 IH
ceived in connection with the performance of serv-
1
ices.
2
‘‘(4) INSURANCE CONTRACTS, ANNUITIES, AND
3
ENDOWMENTS.—For purposes of this subchapter,
4
the term ‘derivative’ shall not include any insurance,
5
annuity, or endowment contract issued by an insur-
6
ance company to which subchapter L applies (or
7
issued by any foreign corporation to which such sub-
8
chapter would apply if such foreign corporation were
9
a domestic corporation).
10
‘‘(5) DERIVATIVES WITH RESPECT TO STOCK
11
OF
MEMBERS
OF
SAME
WORLDWIDE
AFFILIATED
12
GROUP.—For purposes of this subchapter, the term
13
‘derivative’ shall not include any derivative (deter-
14
mined without regard to this paragraph) with re-
15
spect to stock issued by any member of the same
16
worldwide affiliated group (as defined in section
17
864(f)) in which the taxpayer is a member.
18
‘‘(6) COMMODITIES USED IN NORMAL COURSE
19
OF TRADE OR BUSINESS.—For purposes of this sub-
20
chapter, the term ‘derivative’ shall not include any
21
contract with respect to any commodity if—
22
‘‘(A) such contract requires physical deliv-
23
ery with the option of cash settlement only in
24
unusual and exceptional circumstances, and
25
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•HR 1516 IH
‘‘(B) such commodity is used (and is used
1
in quantities with respect to which such deriva-
2
tive relates) in the normal course of the tax-
3
payer’s trade or business (or, in the case of an
4
individual, for personal consumption).
5
‘‘(c) CONTRACTS WITH EMBEDDED DERIVATIVE
6
COMPONENTS.—
7
‘‘(1) IN GENERAL.—If a contract has derivative
8
and nonderivative components, then each derivative
9
component shall be treated as a derivative for pur-
10
poses of this subchapter. If the derivative component
11
cannot be separately valued, then the entire contract
12
shall be treated as a derivative for purposes of this
13
subchapter.
14
‘‘(2) EXCEPTION FOR CERTAIN EMBEDDED DE-
15
RIVATIVE COMPONENTS OF DEBT INSTRUMENTS.—A
16
debt instrument shall not be treated as having a de-
17
rivative component merely because—
18
‘‘(A) such debt instrument is denominated
19
in a nonfunctional currency (as defined in sec-
20
tion 988(c)(1)(C)(ii)), or
21
‘‘(B) payments with respect to such debt
22
instrument are determined by reference to the
23
value of a nonfunctional currency (as so de-
24
fined).
25
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‘‘(d) TREATMENT OF AMERICAN DEPOSITORY RE-
1
CEIPTS AND SIMILAR INSTRUMENTS.—Except as other-
2
wise provided by the Secretary, for purposes of this sub-
3
ch
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