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2026-07-06 17:26:56 -04:00

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type, title, description, jurisdiction, legislature, session, identifier, citation, classification, subjects, status, primary_sponsors, version_count, action_count, vote_count, first_action, last_action, source, source_identifier, source_url, source_hash, vintage, source_snapshot, retrieved_at, confidence, tags
type title description jurisdiction legislature session identifier citation classification subjects status primary_sponsors version_count action_count vote_count first_action last_action source source_identifier source_url source_hash vintage source_snapshot retrieved_at confidence tags
Bill Corporate Income Tax Foreign Jurisdictions The act adds Hong Kong, Republic of Ireland, Liechtenstein, Netherlands, and Singapore to the list of foreign jurisdictions in which a C corporation is presumptively incorporated for the purpose of avoiding state corporate income tax and allows the executive director of the department of revenue to use discretion to determine that a C corporation is not incorporated in a foreign jurisdiction for the purpose of such tax avoidance without, as had been the case, requiring the C corporation to rebut that presumption by proving to the satisfaction of the executive director that the C corporation is incorporated in the listed foreign jurisdiction for reasons that meet the economic substance doctrine described in the federal internal revenue code.For income tax years commencing on or after January 1, 2026, for the purposes of determining the amount of corporate income tax that a C corporation owes to the state, the act adds to a C corporation's federal taxable income an amount equal to a federal deduction claimed for the income tax year for foreign-derived deduction eligible income.The act modifies the state income tax subtraction for dividends from foreign subsidiaries that must be added to a C corporation's federal taxable income under the federal internal revenue code, which had not allowed subtraction of such dividends received from a C corporation incorporated in a foreign jurisdiction for the purpose of tax avoidance, so that all dividends from foreign subsidiaries that must be added to a C corporation's federal taxable income under the federal internal revenue code may be subtracted from the C corporation's federal taxable income for the purpose of determining the C corporation's Colorado taxable income.APPROVED by Governor August 28, 2025EFFECTIVE August 28, 2025(Note: This summary applies to this bill as enacted.) us/states/co Colorado General Assembly 2025B HB 1002 Colorado HB 1002 (2025B)
bill
Fiscal Policy & Taxes
enacted
B. Marshall
M. Ball
Y. Zokaie
7 12 3 2025-08-21 2025-08-28 openstates ocd-bill/0bedc7c3-a8d2-487c-914f-e9d5be2d49d2 https://leg.colorado.gov/bills/HB25B-1002 c7cf90dc552a5d8afaf860de823667142a86f37b765525871bb6fae566d507ac 2026-07-01 https://data.openstates.org/daily/2026-07-01/public.pgdump 2026-07-06 reported
legislation
bill
us-co

Colorado HB 1002 (2025B) — Corporate Income Tax Foreign Jurisdictions

The act adds Hong Kong, Republic of Ireland, Liechtenstein, Netherlands, and Singapore to the list of foreign jurisdictions in which a C corporation is presumptively incorporated for the purpose of avoiding state corporate income tax and allows the executive director of the department of revenue to use discretion to determine that a C corporation is not incorporated in a foreign jurisdiction for the purpose of such tax avoidance without, as had been the case, requiring the C corporation to rebut that presumption by proving to the satisfaction of the executive director that the C corporation is incorporated in the listed foreign jurisdiction for reasons that meet the economic substance doctrine described in the federal internal revenue code.For income tax years commencing on or after January 1, 2026, for the purposes of determining the amount of corporate income tax that a C corporation owes to the state, the act adds to a C corporation's federal taxable income an amount equal to a federal deduction claimed for the income tax year for foreign-derived deduction eligible income.The act modifies the state income tax subtraction for dividends from foreign subsidiaries that must be added to a C corporation's federal taxable income under the federal internal revenue code, which had not allowed subtraction of such dividends received from a C corporation incorporated in a foreign jurisdiction for the purpose of tax avoidance, so that all dividends from foreign subsidiaries that must be added to a C corporation's federal taxable income under the federal internal revenue code may be subtracted from the C corporation's federal taxable income for the purpose of determining the C corporation's Colorado taxable income.APPROVED by Governor August 28, 2025EFFECTIVE August 28, 2025(Note: This summary applies to this bill as enacted.)

Version chain

The bill's text revisions, in order — the diff chain from filing to enrollment.

  1. Introduced (filed) — source
  2. Engrossed (committee substitute) — source
  3. Final Act (committee substitute) — source
  4. Reengrossed (committee substitute) — source
  5. Rerevised (committee substitute) — source
  6. Revised (committee substitute) — source
  7. Signed Act (committee substitute) — source

Votes

  • Refer House Bill 25B-1002 to the Committee of the Whole. — pass (pass) · upper
  • BILL — pass (pass) · lower
  • Refer House Bill 25B-1002 to the Committee of the Whole. — pass (pass) · lower

Sponsors

  • B. Marshall — primary (person)
  • M. Ball — primary (person)
  • Y. Zokaie — primary (person)
  • A. Boesenecker — cosponsor (person)
  • C. Kipp — cosponsor (person)
  • D. Michaelson Jenet — cosponsor (person)
  • E. Sirota — cosponsor (person)
  • F. Winter — cosponsor (person)
  • I. Jodeh — cosponsor (person)
  • J. Amabile — cosponsor (person)
  • J. Bacon — cosponsor (person)
  • J. Bridges — cosponsor (person)
  • J. Coleman — cosponsor (person)
  • J. Gonzales — cosponsor (person)
  • J. McCluskie — cosponsor (person)
  • J. Willford — cosponsor (person)
  • K. Brown — cosponsor (person)
  • K. McCormick — cosponsor (person)
  • K. Wallace — cosponsor (person)
  • L. Cutter — cosponsor (person)
  • L. Daugherty — cosponsor (person)
  • L. García — cosponsor (person)
  • L. Smith — cosponsor (person)
  • M. Froelich — cosponsor (person)
  • M. Lindsay — cosponsor (person)
  • M. Rutinel — cosponsor (person)
  • M. Weissman — cosponsor (person)
  • N. Hinrichsen — cosponsor (person)
  • R. Rodriguez — cosponsor (person)
  • T. Exum — cosponsor (person)
  • T. Story — cosponsor (person)
  • T. Sullivan — cosponsor (person)
  • W. Lindstedt — cosponsor (person)

Timeline

The legislative action history — every referral, reading, and vote.

  • 2025-08-28 Governor Signed executive-signature
  • 2025-08-26 Sent to the Governor executive-receipt
  • 2025-08-26 Signed by the President of the Senate passage
  • 2025-08-26 Signed by the Speaker of the House passage
  • 2025-08-24 Senate Third Reading Passed - No Amendments passage, reading-3
  • 2025-08-23 Senate Second Reading Special Order - Passed - No Amendments
  • 2025-08-23 Senate Committee on Appropriations Refer Unamended to Senate Committee of the Whole committee-passage, referral-committee
  • 2025-08-23 Introduced In Senate - Assigned to Appropriations introduction
  • 2025-08-23 House Third Reading Passed - No Amendments passage, reading-3
  • 2025-08-22 House Second Reading Passed with Amendments - Floor reading-2
  • 2025-08-21 House Committee on Appropriations Refer Unamended to House Committee of the Whole committee-passage, referral-committee
  • 2025-08-21 Introduced In House - Assigned to Appropriations introduction

Source

OpenStates / OpenCivicData bulk snapshot 2026-07-01; origin ocd-bill/0bedc7c3-a8d2-487c-914f-e9d5be2d49d2. Confidence: reported (aggregated from official Colorado legislature records).