H.R. 1328

119th Congress

In Committee

Supply Chain Security and Growth Act of 2025

Sponsored byRepublican:Rep. Malliotakis, Nicole [R-NY-11]NY· Introduced 13 February 2025

12

Cosponsors

3

Actions

0

Amendments

0

Committees

Since introduced

Introduced
Committee
Passed Chamber
Passed Both
Enacted
Step 1 of 0
Latest action

Referred to the House Committee on Ways and Means.

13 February 2025·1 year ago

Summary

Introduced in House · Updated 1 May 2026

Supply Chain Security and Growth Act of 2025

This bill establishes a tax credit for qualified investments made in certain facilities that are located in a U.S. possession and manufacture drugs, pharmaceuticals, semiconductors, or certain other items, subject to limitations. The bill also increases the deemed-paid foreign tax credit for taxes paid to a U.S. possession.

Specifically, under the bill, a taxpayer (other than a prohibited foreign entity) is allowed a tax credit for 40% of an investment in certain property that is

  • placed into service during the tax year;
  • integral to the operation of a critical supply chain facility; and
  • constructed, reconstructed, or erected by the taxpayer, or property acquired for original used by the taxpayer.

The bill defines critical supply chain facility as a facility that (1) manufactures active pharmaceutical ingredients, drugs, biologic products, medical countermeasures, medical diagnostic devices, semiconductors, semiconductor manufacturing equipment, aerospace equipment, or artificial nanomaterials; and (2) is located in Puerto Rico, Guam, American Samoa, the Northern Mariana Islands, or the Virgin Islands.

Under the bill, the tax credit is transferable and may be claimed as a direct cash payment (i.e., elective payment). (Limitations apply.)

Finally, the bill increases to 100% (from 80%) the deemed-paid foreign tax credit for income taxes paid or accrued by a controlled foreign corporation (CFC) to a U.S. possession. (Under current law, a U.S. shareholder of a CFC is allowed a tax credit for income taxes paid by a CFC on certain income attributable to the U.S. shareholder.)

Timeline

3 actions

  1. Referred to the House Committee on Ways and Means.

    13 February 2025 · IntroReferral

  2. Introduced in House

    13 February 2025 · IntroReferral

  3. Introduced in House

    13 February 2025 · IntroReferral

Sponsorship

12 cosponsors

Cosponsors

  • Democrat758%
  • Republican542%

Classification

Policy area

Taxation

Cosponsor momentum

Cumulative over time

Cosponsors grew from 6 on 13 February 2025 to 12 on 9 September 2025.

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