SEMI Investment Act
Summary
What This Bill Does
The SEMI Investment Act amends Internal Revenue Code section 48D. It broadens advanced manufacturing facility to cover facilities whose primary purpose is manufacturing semiconductors, semiconductor manufacturing equipment, or semiconductor materials. Semiconductor materials include direct production materials physically incorporated into finished semiconductors, such as silicon, silicon carbide, gallium nitride, gallium arsenide, indium phosphide, thin-film and layering materials, packaging substrates, wire bonds, solder bumps, lead frames, die attach adhesives, and underfill. They also include specialized indirect production materials used in production, testing, inspection, or packaging but not physically incorporated into a finished semiconductor, such as etchants, deposition precursors, doping gases, photoresists, developers, masks, pellicles, CMP slurries and pads, cleaning agents, probe cards, test sockets, optical inspection materials, mold compounds, encapsulants, bonding wires, chemical-handling and wafer-handling materials, and process chamber materials. Generic materials predominantly used outside semiconductor manufacturing are excluded. Within 180 days and annually thereafter, Treasury, in consultation with Commerce, must publish a list of qualifying direct and indirect production materials, and taxpayers may petition Treasury for interim determinations for materials not on the latest list. The bill extends the section 48D(e) construction deadline from December 31, 2026 to December 31, 2031.
Who Benefits and How
Semiconductor materials manufacturers benefit because facilities producing qualifying direct or indirect production materials can fall within the advanced manufacturing facility definition. Semiconductor manufacturing equipment producers benefit because equipment manufacturing facilities are expressly included. Semiconductor manufacturers benefit from stronger domestic supply chains for substrates, chemicals, photolithography materials, packaging materials, testing materials, handling materials, and chamber materials. Taxpayers developing new semiconductor inputs benefit from a petition process for Treasury determinations when a material is missing from the annual list. Domestic semiconductor supply-chain policy benefits because the credit deadline is extended through construction beginning before 2032.
Who Bears the Burden and How
Treasury tax administrators must define, list, update, and adjudicate semiconductor material eligibility for section 48D. Commerce must consult with Treasury on qualifying material specifications, characteristics, and applications. Federal taxpayers bear additional tax-expenditure costs from expanding and extending the advanced manufacturing investment credit. Credit claimants must document that facilities and materials satisfy the direct-production or indirect-production material rules. Manufacturers of generic materials predominantly used outside semiconductor manufacturing are excluded from the expanded definition.
Key Provisions
- Expands advanced manufacturing facility to include semiconductor manufacturing equipment and semiconductor materials facilities.
- Defines direct production materials physically incorporated into finished semiconductors.
- Defines indirect production materials used in semiconductor production, testing, inspection, or packaging.
- Excludes generic materials predominantly used outside semiconductor manufacturing.
- Requires Treasury, in consultation with Commerce, to publish annual qualifying-material lists and process taxpayer petitions.
- Extends the section 48D construction deadline from December 31, 2026 to December 31, 2031.
Evidence Chain:
This summary is generated from the full bill text using AI analysis. Expand "Detailed Analysis" below for identified beneficiaries/burden bearers with clause-level evidence links.
At a Glance
What This Bill Does
Expands the section 48D advanced manufacturing investment credit to facilities whose primary purpose is manufacturing semiconductor equipment or semiconductor materials, defines direct and indirect semiconductor production materials in detail, requires Treasury and Commerce to publish annual qualifying-materials lists and process petitions, and extends the credit's construction deadline from December 31, 2026 to December 31, 2031.
Key Policy Areas
Semiconductors, Tax Credits, Manufacturing
Primary Purpose
Expands the section 48D advanced manufacturing investment credit to facilities whose primary purpose is manufacturing semiconductor equipment or semiconductor materials, defines direct and indirect semiconductor production materials in detail, requires Treasury and Commerce to publish annual qualifying-materials lists and process petitions, and extends the credit's construction deadline from December 31, 2026 to December 31, 2031.
Policy Domains
Substantive provisions
Identified Gains
- Semiconductor materials manufacturers
- Semiconductor manufacturing equipment producers
- Semiconductor manufacturers
- Taxpayers developing new semiconductor inputs
- Domestic semiconductor supply-chain programs
Identified Costs
- Treasury tax administrators
- Commerce semiconductor staff
- Federal taxpayers
- Section 48D credit claimants
- Generic material manufacturers excluded from eligibility
Sponsors
Legislative Progress
In CommitteeMr. Fitzpatrick (for himself, Mr. Boyle of Pennsylvania, Mr. Golden …
Referred to the House Committee on Ways and Means.
Introduced in House
Stakeholder Effects
cui bono?How this legislation distributes effects. Mention counts reflect frequency, not effect magnitude.
Generic material manufacturers excluded from eligibility, Semiconductor manufacturers, Semiconductor manufacturing equipment producers
Positive-direction: Semiconductor manufacturers, Semiconductor manufacturing equipment producers, Semiconductor materials manufacturers
Negative-direction: Generic material manufacturers excluded from eligibility
Commerce semiconductor staff, Treasury tax administrators
Bill Structure & Actor Mappings
Who is "The Secretary" in each section?
We use a combination of our own taxonomy and classification in addition to large language models to assess meaning and potential beneficiaries. High confidence means strong textual evidence. Always verify with the original bill text.
Learn more about our methodology