Energy Tax Credits – Foreign Adversary Entity Restrictions (NO GOTION Act)
Current understanding
To be populated as evidence accumulates.
Evidence log
- 2025-05-08 — Certainty for Our Energy Future Act: cross-connection with adversarial-nation-energy-tax-incentive-ban: Both proposals restrict PRC/Russia/Iran/DPRK-linked entities from claiming energy-related federal tax credits, overlapping in scope with the NO GOTION Act framework. (novelty: 2)
- 2025-02-03 — NO GOTION Act: cross-connection with adversary-nation-energy-tax-incentive-prohibition: Both pages appear to track the NO GOTION Act’s restrictions on foreign-adversary-linked entities claiming federal energy tax incentives; likely candidates for merger or explicit cross-reference. (novelty: 3)
- 2025-01-16 — NO GOTION Act: NO GOTION Act (HR524, 119th Congress) introduced: would bar entities created, organized, or controlled by China, Russia, Iran, or North Korea from claiming a broad slate of federal energy-related tax credits, deductions, and excise-tax refunds. (novelty: 3)