Policy

5 Key Takeaways From the House GOP's Tax Reform Blueprint


by FEI Daily Staff

Whatever twists the tax reform journey may take, companies that understand the concepts behind the blueprint and engage with policymakers will be better positioned to help shape the final product.

©Eyematrix/ISTOCK/THINKSTOCK

As the United States heads into the final stretch of a tumultuous presidential election, many policy priorities are competing with tax reform for attention. The drumbeat to reform and simplify the US tax system continues, however, with much of the activity taking place behind the scenes. Presidential candidates have each put forward tax reform plans, and Congress continues to weigh alternatives.

One recent proposal under consideration is the tax reform “blueprint” issued by House Republicans. The document is the culmination of the work of a Republican tax reform task force set up by House Speaker Paul Ryan (R-WI) and chaired by House Ways and Means Committee Chairman Kevin Brady (R-TX). The blueprint is both a call to action and a broad outline of “pro-growth” policy changes House Republicans favor. The blueprint proposes lowering tax rates and, in its perhaps most innovative feature, moving the current corporate income tax system toward a destination-based consumption tax, which entails a general denial of interest deductions, the elimination of many current targeted tax incentives (although a research and development incentive would remain), an essentially territorial international tax system, and a mechanism for generally exempting income from exports and generally fully taxing income from imports.

The goal between now and year-end is for the details of the blueprint to be filled in, resulting in statutory text, with final legislation ready for congressional action in 2017. Given this aggressive timetable and the magnitude of the changes proposed, it is important to engage and provide feedback to policymakers with regard to issues important to your business. To assist in these efforts, below are five key points about the blueprint:

  1. The blueprint is a foundational document for tax reform efforts
Each step toward tax reform builds upon what has come before, and most significant tax reforms, such as the Tax Reform Act of 1986, resulted from a gradual, years-long process. Some of the blueprint’s ideas come from recent reform proposals while others are new.

Details need to be built out on many aspects of the blueprint, and businesses are encouraged to provide feedback to help shape these proposals. The blueprint specifically requests comments about the practical effects of the concepts outlined — these comments will be used to help craft the final legislation and any related transition rules.

  1. Tax rates would drop under the blueprint
The blueprint would generally lower tax rates and broaden the tax base. It proposes moving toward a cash-flow approach to business taxation and a consumption-based tax model.

Businesses

Corporations would pay a flat tax rate of 20%. Businesses would be able to immediately expense 100% of the cost of investments, both tangible and intangible. Net operating losses would still be allowed to be carried forward, but carrybacks would no longer be permitted.

In a significant departure from current law, the blueprint would create a new 25% rate for the “business income” of pass-through businesses and sole proprietorships (instead of taxing income from these businesses at the individual tax rates). Wage income from these businesses would still be taxed at the 33% maximum individual rate. The blueprint would also repeal the corporate alternative minimum tax (AMT) and eliminate most targeted tax preferences except the R&D tax credit and the last in/first out inventory method.

International

The blueprint would move to a territorial tax system with a 100% exemption for dividends paid from the future earnings of foreign subsidiaries. It would impose an 8.75% tax rate on previously untaxed accumulated foreign cash or cash-equivalent earnings and a 3.5% tax rate on all other accumulated foreign earnings, payable over eight years.

Individuals

The blueprint would consolidate the number of individual tax brackets; the new rates would be 12%, 25% and 33%. Taxpayers would be able to deduct 50% of net capital gains, dividend and interest income (resulting in rates of 6%, 12.5% and 16.5%). The individual AMT and the estate tax and generation-skipping transfer tax would be repealed. The blueprint would eliminate all itemized deductions except the mortgage interest deduction and charitable contribution deduction. It would also consolidate the various family tax benefits currently available into a larger standard deduction and a larger child and dependent care credit.

  1. Border adjustments would change the tax treatment of imports and exports
The blueprint outlines a destination-basis system under which export sales would be exempt from tax and imported “inputs” would not be deductible. While border adjustments are currently allowed and are used with many countries’ value added taxes, they are prohibited for income taxes under World Trade Organization rules, so this proposal could be subject to challenge. However, the blueprint indicates that the move to a consumption-based, cash-flow approach for taxing business income would permit the use of such border adjustments.

The blueprint further provides that the adoption of border adjustability rules would obviate the need for any additional anti-base erosion measures in conjunction with the move to a territorial system.

  1. Debt and equity would receive more equal tax treatment than under the current system
The blueprint would eliminate the current deduction for interest expense on a net basis. The Ways and Means Committee plans to work to develop rules on interest expense for financial services companies that take into account the role of interest income and interest expense in those businesses.

The blueprint suggests that the immediate expensing of capital expenditures for tangible and intangible assets that is included in the proposal is a more neutral substitute for the deductibility of interest expense. In combination, the changes envisioned under the blueprint are thought to result in more similar taxation of equity and debt than under current law, with the effective tax rates on debt-financed investment rising somewhat and those on equity-financed investment falling significantly.

  1. The blueprint aims to achieve economic growth without adding to the deficit
The blueprint’s overarching goal is economic growth through job creation, tax code simplification and IRS modernization. While no revenue estimates are included, the blueprint is intended to be both pro-growth and revenue-neutral, meaning it would not increase the deficit.

The document uses several key revenue assumptions. It uses a revenue baseline that assumes current tax policies will be permanently extended. By doing so, it is estimated that at least $400 billion of the 10-year cost of the plan can be eliminated because the baseline incorporates permanent extension of the tax provisions that were extended temporarily in last year’s legislation.

The blueprint also builds in anticipated positive revenue effects from the economic growth policymakers expect from its tax policy changes. Finally, the blueprint proposes repeal of all of the tax increases that were part of the Affordable Care Act, such as the 3.8% tax on net investment income, the 0.9% payroll tax, the medical device excise tax, and other industry-specific tax increases. The blueprint further assumes that these items should not ever have been enacted and that the amount of revenue they produce will not be replaced.

Next steps

What ultimately happens with the blueprint will depend greatly on the outcome of the November elections and whether leaders from the parties choose to work together. Whatever twists the tax reform journey may take, companies that understand the concepts behind the blueprint and engage with policymakers will be better positioned to help shape the final product.

 

Michael Dell is a Partner, EY Partnership Transactional Planning & Economics Group and a Leader, EY Center for Tax Policy. Nicholas Giordano is a US Tax Policy Leader for EY.

The views expressed are those of the authors and do not necessarily reflect the views of Ernst & Young LLP.