Issue · Budget & Taxes

Budget & Taxes (Revenue)

Every budget & taxes bill, vote, and legislator stance in United States, automatically classified by Maddy, our AI policy reader.

Total bills
4
119th Congress
Top supporter
Adam B. Schiff
86% support rate
Top opponent
Rand Paul
5% support rate
Ranked legislators
10
5 support · 5 oppose
Key legislators

Who's moving revenue in United States

Legislators moving revenue in United States
Legislator Party Stance Support rate Votes
Adam B. Schiff
Adam B. Schiff Senate
D
Strong +
86% 22
Alex Padilla
Alex Padilla Senate
D
Strong +
86% 22
Amy Klobuchar
Amy Klobuchar Senate
D
Strong +
86% 22
Andy Kim
Andy Kim Senate
D
Strong +
86% 22
Angela D. Alsobrooks
Angela D. Alsobrooks Senate
D
Strong +
86% 22
Rand Paul
Rand Paul Senate
R
Strong −
5% 22
John R. Curtis
John R. Curtis Senate
R
Strong −
9% 22
Mike Lee
Mike Lee Senate
R
Strong −
9% 22
Ashley Moody
Ashley Moody Senate
R
Strong −
14% 22
Bernie Moreno
Bernie Moreno Senate
R
Strong −
14% 22
Showing 4 of 4 bills

All budget & taxes bills

in committee · United States · Senate Mar 20, 2026

S 4158: A bill to temporarily suspend the clean electricity production credit to support the Strategic Petroleum Reserve.

This bill proposes to pause the clean electricity production tax credit for two years, from October 1, 2025, through September 30, 2027. The change would affect electricity generators who currently receive tax benefits for producing clean energy during this period. Money that would have gone to the Treasury from these suspended credits would instead be transferred to the Strategic Petroleum Reserve's funding account. The legislation aims to redirect federal tax revenue to support petroleum stockpiles while temporarily reducing incentives for clean electricity production.
in committee · United States · House Jan 16, 2025

HR 508: Bring American Companies Home Act

HR 508, the "Bring American Companies Home Act," allows U.S. businesses to immediately deduct expenses paid to move business inventory, equipment, and supplies from China to the U.S. in the year they are paid. This directly affects U.S. companies relocating operations or supply chains from China. The bill establishes a trust fund funded by tariffs collected on China-made goods, which reimburses the Treasury for lost tax revenue from the deduction. The deduction is limited to qualifying business moving expenses under existing tax code rules.
in committee · United States · House Mar 6, 2025

HR 1911: To amend the Internal Revenue Code of 1986 to provide that certain payments to foreign related parties subject to sufficient foreign tax are not treated as base erosion payments.

This bill modifies U.S. tax rules to exclude certain payments made to foreign subsidiaries or affiliates from being classified as "base erosion payments" (payments that reduce U.S. tax revenue). It applies specifically to multinational corporations making cross-border payments to foreign entities that pay at least 15% effective foreign income tax. To qualify, companies must prove the foreign entity’s tax rate meets the threshold using standard financial statements with adjustments for items like dividends or currency gains. The policy change aims to prevent double taxation on such payments while maintaining anti-avoidance safeguards.
Sub-Topics Income Tax Revenue
in committee · United States · House Jan 3, 2025

HJRES 3: Proposing an amendment to the Constitution of the United States relative to balancing the budget.

This bill proposes a constitutional amendment requiring the federal government to balance its annual budget, meaning spending cannot exceed revenue unless overridden by a two-thirds vote in both House and Senate. It also caps annual spending at 18% of GDP unless a similar two-thirds vote approves an exception. The amendment mandates the President submit a balanced budget proposal each year and requires a two-thirds vote to pass new taxes or increase tax revenue. These rules would directly affect all federal spending decisions, including defense, social programs, and debt management, with limited exceptions for declared wars or national security threats.