Six
Republicans in leadership positions with respect to tax policy - Ryan,
McConnell, Mnuchin, Cohn, Hatch, and Brady - have now issued a public statement regarding
their plans for significant tax legislation, which they call "tax
reform." It appears to promise a more open, conventional, and
committee-based process than that which the Republicans used with respect to
healthcare. Other than that, here is the key paragraph, broken down
sentence-by-sentence with my annotations after each:
"We have always been in agreement that tax relief for American
families should be at the heart of our plan." Comment: This
is standard boilerplate. "Tax relief for American families," in the
sense that this term is meant to have (e.g., middle-income two-parent
households with children), will get only a small percentage of the benefits, if
indeed they get any.
"We also believe there should be a lower tax rate for small
businesses so they can compete with larger ones, and lower rates for all
American businesses so they can compete with foreign ones." Comment: This appears to mean that the self-employed, even if they are
extremely high-income, will pay lower tax rates than employees. I've commented
previously on what a poor design feature this is. But there is admittedly an
underlying dilemma here. All else equal, it might make sense to align the tax
rates of small business and large business. And it might make sense to lower
the tax rates for internationally mobile capital income insofar as it is only
lowering the "normal" rate of return. But it makes no sense to tax
employees at higher tax rates than the self-employed, and it's also likely to
be extremely regressive. There are indeed ways out of the box, but they
generally would require more significant structural changes than these folks
appear to be contemplating at this point.
"The goal is a plan that reduces tax rates as much as possible,
allows unprecedented capital expensing, places a priority on
permanence, and creates a system that encourages American companies to
bring back jobs and profits trapped overseas." Comment:
They're not committing to how much they'll cut tax rates, but this
(unsurprisingly) means as a practical matter that the proposal will lose
revenue, requiring it to be phased out after 10 years unless they come up with
some trick to avoid that result. "Unprecedented capital expensing" is
a consumption tax-like result that would make more sense if accompanied by
interest deduction limits, on which they are at this point silent.
"Permanence" seems to mean they want to avoid the phaseout if
possible, by one means or another, but I think it will be impossible unless
they play games with the budget rules. "Bring back jobs" doesn't have
a definite meaning unless it refers to lowering the corporate rate. Shifting to
a territorial system (which I'd presume they'd want to do) is hard to square
with these words rhetorically. The reference to profits taxed overseas presumably means that they anticipate no longer taxing U.S. companies' dividends from foreign subsidiaries -
suggesting the enactment of territoriality - perhaps with a deemed
repatriation at the transition. I've for years advocated taxing deemed
repatriations, to address the foreign profits issue, but I suspect they'd have
a very low repatriation tax rate, because otherwise the taxpayers subject to it (who
have friends) might be unhappy.
"And we are now confident that, without transitioning to a
new domestic consumption-based tax system, there is a viable approach
for ensuring a level playing field between American and foreign companies and
workers, while protecting American jobs and the U.S. tax base. While we have
debated the pro-growth benefits of border adjustability, we appreciate that
there are many unknowns associated with it and have decided to set this policy
aside in order to advance tax reform." Comment: That one
speaks for itself. Buh-bye to the destination-based cash flow tax, at least for
now. Ryan and Brady would have been politically unwise to fight further on this
front.
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