Comparison of Current Law and Tax Reform Framework
- Published
- Sep 28, 2017
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With the consideration of health care legislation put aside, at least for the present, the primary focus in Washington is now on tax reform. This effort could result in the most consequential tax law changes since the Tax Reform Act of 1986.
On September 27, 2017, the Trump Administration, the House Ways and Means Committee and the Senate Finance Committee released a framework for tax reform – “Unified Framework For Fixing Our Broken Tax Code.” From this framework, legislation is to be developed by the tax writing committees of Congress.
We will monitor developments as the process moves forward in earnest and will continue to keep our clients and friends informed as circumstances warrant.
Corporate and International Tax Provisions
|
Current Law |
Tax Reform Framework |
Top Corporate Tax Rate |
35% |
20% |
Top Passthrough Tax Rate |
39.6% |
25% on business income of small and family-owned businesses conducted as sole proprietorships, partnerships and S corporations House and Senate committees to adopt measures to prevent recharacterization of personal income into business income |
Carried Interest |
Taxed as long-term capital gain |
No specific proposal |
Corporate Alternative Minimum Tax |
Imposed on corporation to extent tentative minimum tax exceeds regular tax |
Repeal |
Depreciation |
Cost recovery over period of years |
Full expensing for the cost of new investments in depreciable assets other than structures made after September 27, 2017 for at least 5 years |
Interest Expense |
Generally deductible |
Deduction for net interest expense incurred by C corporations partially limited Committees to consider appropriate treatment of interest paid by non-corporate taxpayers |
Net Operating Losses (NOLs) |
Generally may be carried back two years and carried forward 20 years |
No information |
Research credit |
Generally either 20% credit for qualifying research expenses in excess of base amount or 14% alternative simplified credit |
Retain |
Domestic Production Activities Deduction (IRC Sec. 199) |
Up to 9% deduction for certain income attributable to domestic production activities |
Repeal |
Employer Provided Child Care |
$150,000 maximum tax credit for on-site childcare Portion of credit subject to recapture if child care facilities closed within first 10 years after placed in service |
No information |
Taxation of International Income |
Worldwide with deferral |
Territorial 100% exemption for dividends from foreign subsidiaries (in which U.S. parent owns at least 10% interest) To prevent companies from shifting profits to “tax havens,” rules to protect U.S. tax base by taxing at a reduced rate and on a global basis the foreign profits of U.S. multinational corporations Rules to be adopted to “level playing field” between U.S.- headquartered parent companies and foreign-headquartered parent companies |
Repatriation |
Repatriated foreign source income taxed at full corporate rate subject to foreign tax credit or deduction |
Foreign earnings that have accumulated overseas under current system treated as repatriated Accumulated foreign earnings held in illiquid assets taxed at a lower rate than foreign earnings held in cash or cash equivalents Payment of tax liability spread over several years |
Cross-border transactions |
Silent |
No information |
Subpart F income |
Subpart F rules limit deferral for certain foreign income |
No information |
Individual Tax Provisions
|
Current Law |
Tax Reform Framework |
Ordinary Income Tax Rates |
7 brackets: 10%, 15%, 25%, 28%, 33%, 35% and 39.6% |
12%, 25% and 35% Use of more accurate measure of inflation for indexing tax brackets and other tax parameters |
Capital Gains/Qualified Dividends |
Short-term capital gains (held less than 1 year) taxed at ordinary income rates Long-term capital gains (held 1 year or more) taxed at preferential rates, top rate of 20% Dividends taxed as ordinary income; qualified dividends taxed at capital gains rates |
No Information |
Alternative Minimum Tax |
Alternate tax calculation based on 26%/28% tax rate, payable if greater than regular tax calculation |
Repeal |
Net Investment Income Tax |
3.8% above $200,000 adjusted gross income (single), above $250,000 (married filing jointly) |
No Information |
Medicare Surtax on Wages |
0.9% --adjusted gross income greater than $200,000 (single), adjusted gross income greater than $250,000 (married filing jointly) |
No Information |
Personal Exemptions |
$4,050; Personal exemption phase-out applies for taxpayers with adjusted gross income above certain amounts |
Eliminate |
Itemized Deductions |
Phase-out applies to taxpayers with adjusted gross income above certain amounts |
Eliminate most itemized deductions except home mortgage interest and charitable contributions |
Standard Deduction |
$6,300 (single and married filing separately) $9,300 (head of household) $12,600 (married filing jointly) Additional standard deduction ($1,250) for elderly or blind |
Standard deduction and personal exemption combined and increased to $12,000 (single) and $24,000 (married filing jointly) |
Children and Families |
Childcare tax credit |
Repeal personal exemptions for dependents Increase Child Tax Credit First $1,000 of Child Tax Credit refundable as under current law Increase income levels at which Child Tax Credit begins to phase out Non-refundable credit of $500 for non-child dependents |
Estate / Gift Tax Provisions
|
Current Law |
Tax Reform Framework |
Estate Tax |
Exemption: $5,450,000, adjusted for inflation; top rate of 40% Additional tax may apply to generation-skipping transfers |
Repeal estate and generation-skipping transfer tax |
Gift Tax |
Lifetime exemption: $5,450,000, adjusted for inflation Annual exclusion: $14,000 per donee, adjusted for inflation |
No specific proposal |
FOR RELATED CONTENT, PLEASE SEE:
- Individual Provisions: Tax Reform Moves Forward – Comparison of House and Senate Bills
- Tax Reform Revenue Raising Provisions Will Affect Some Companies More Than Others
- Comparison of House Bill vs. Senate Bill: International Tax Provisions
- A Further Discussion of the Business Provisions in the House Republicans' Tax Bill
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