S 3317 United States Senate · 118th Congress

Ending the Carried Interest Loophole Act

Summary
Ending the Carried Interest Loophole Act This bill revises the tax treatment of partnership interests received in connection with the performance of services. It eliminates the concept of carried interest, a form of compensation received by certain partners in private equity, real estate, or hedge funds for investment management services. Under current law, such compensation can be deferred from taxation until income is realized by the partnership. The bill requires partners to recognize deemed compensation received from a partnership annually, taxed at ordinary income tax rates and subject to self-employment taxation. The bill eliminates a partner's ability to defer tax on such compensation.
Bill status in committee 1 of 4 stages cleared
Introduction
Nov 2023
Committee Review
Floor Vote
President
Introduced Nov 15, 2023 Last action Nov 15, 2023
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Total actions
2
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0
Committee
1
Nov 15, 2023
Committee
Read twice and referred to the Committee on Finance.
upper
Nov 15, 2023
Introduced
Introduced in Senate
upper
1 primary · 10 co-sponsors

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