Public law no. 115-97, an Act to provide for reconciliation pursuant to titles II and V of the concurrent resolution on the budget for fiscal year 2018, is a congressional revenue act originally introduced in Congress as the Tax Cuts and Jobs Act (TCJA). Public law no. 115-97 ("the Act") amended the Internal Revenue Code of 1986 based on tax reform advocated by congressional Republicans and the Trump administration. Major elements include reducing tax rates for businesses and individuals; a personal tax simplification by increasing the standard deduction and family tax credits, but eliminating personal exemptions and making it less beneficial to itemize deductions; limiting deductions for state and local income taxes (SALT) and property taxes; further limiting the mortgage interest deduction; reducing the alternative minimum tax for individuals and eliminating it for corporations; reducing the number of estates impacted by the estate tax; and repealing the individual mandate of the Affordable Care Act (ACA).
The nonpartisan Congressional Budget Office (CBO) reported that under the Act individuals and pass-through entities like partnerships and S corporations would receive about $1,125 billion in net benefits (i.e. net tax cuts offset by reduced healthcare subsidies) over 10 years, while corporations would receive around $320 billion in benefits. The individual and pass-through tax cuts fade over time and become net tax increases starting in 2027 while the corporate tax cuts are permanent. This enabled the Senate to pass the bill with only 51 votes, without the need to defeat a filibuster, under the budget reconciliation process.
The CBO estimated that implementing the Act would add an estimated $1.455 trillion to the national debt over ten years, or about $1.0 trillion after macroeconomic feedback effects, in addition to the $10 trillion increase forecast under the current policy baseline and existing $20 trillion national debt. CBO reported on December 21, 2017: "Overall, the combined effect of the change in net federal revenue and spending is to decrease deficits (primarily stemming from reductions in spending) allocated to lower-income tax filing units and to increase deficits (primarily stemming from reductions in taxes) allocated to higher-income tax filing units". The nonpartisan Joint Committee on Taxation also estimated that the GDP level would be 0.8% percent higher, employment level would be 0.6% higher and personal consumption level would be 0.6% higher during the 2018-2027 period on average due to the Act. These are higher levels, not higher annual growth rates, so these are relatively minor economic impacts over 10 years.
The distribution of impact by individual income group varies significantly based on the assumptions involved and point in time measured. In general, businesses and upper income groups will mostly benefit regardless, while lower income groups will see the initial benefits fade over time or be adversely impacted. For example, the CBO and JCT estimated that:
- During 2019, income groups earning under $20,000 (about 23% of taxpayers) would contribute to deficit reduction (i.e. incur a cost), mainly by receiving fewer subsidies due to the repeal of the individual mandate of the Affordable Care Act. Other groups would contribute to deficit increases (i.e. receive a benefit), mainly due to tax cuts.
- During 2021, 2023 and 2025, income groups earning under $40,000 (about 43% of taxpayers) would contribute to deficit reduction, while income groups above $40,000 would contribute to deficit increases.
- During 2027, income groups earning under $75,000 (about 76% of taxpayers) would contribute to deficit reduction while income groups above $75,000 would contribute to deficit increases.
The Tax Policy Center (TPC) estimated that the bottom 80% of taxpayers (income under $149,400) would receive 35% of the benefit in 2018, 34% in 2025 and none of the benefit in 2027, with some groups incurring costs. TPC also estimated 72% of taxpayers would be adversely impacted in 2019 and beyond, if the tax cuts are paid for by spending cuts separate from the legislation, as most spending cuts would impact lower- to middle-income taxpayers and outweigh the benefits from the tax cuts.
The law also impacts healthcare by repealing the ACA individual mandate, resulting in projections of up to 13 million fewer persons covered by health insurance as some younger, healthier persons will likely choose not to participate. Those in the remaining less healthy pool will pay higher insurance costs on the ACA exchanges, which will result in additional persons dropping coverage.
Critics in the media, think tanks and academia assailed the law, mainly based on forecasts of its adverse impact (e.g., higher budget deficit, higher trade deficit, greater income inequality, lower healthcare coverage and higher healthcare costs), disproportionate impact on certain states and professions and the misrepresentations made by its advocates. Some of the reforms passed by the Republicans have become controversial within key states, particularly the $10,000 cap on state and local tax deductibility, and are being challenged in federal court.
The House passed the penultimate version of the bill on December 19, 2017, though for Senate procedural reasons small changes were needed and a revote was held in the House. The Senate passed the final version on December 20 in a 51-48 vote and that final version was passed by the House of Representatives on that same day. The bill was signed into law by President Donald Trump on December 22, 2017. Most of the changes introduced by the bill went into effect on January 1, 2018 and will not affect 2017 taxes.
Video Tax Cuts and Jobs Act of 2017
Plan elements
Individual income tax
Under the law, there are numerous changes to the individual income tax, including changing the income level of individual tax brackets, lowering tax rates, and increasing the standard deductions and family tax credits while the personal exemption and itemized deductions are reduced or eliminated.
Most individual income taxes are reduced, until 2025. The number of income tax brackets remain at seven, but the income ranges in several brackets have been changed and each new bracket has lower rates. These are marginal rates that apply to income in the indicated range as under current law (i.e., prior Public Law 115-97 or the Act), so a higher income taxpayer will have income taxed at several different rates. A different inflation measure (Chained CPI or C-CPI) will be applied to the brackets instead of the Consumer Price Index (CPI), so the brackets increase more slowly. This is effectively a tax increase over time, as people move more quickly into higher brackets as their income rises; this element is permanent.
The standard deduction nearly doubles, from $12,700 to $24,000 for married couples. For single filers, the standard deduction will increase from $6,350 to $12,000. About 70% of families choose the standard deduction rather than itemized deductions; this could rise to over 84% if doubled. The personal exemption is eliminated -- this was a deduction of $4,150 per taxpayer and dependent, unless it is in an estate or trust.
The child tax credit is doubled from $1,000 to $2,000, $1,400 of which will be refundable. There is also a $500 credit for other dependents, versus zero under current law.
Mortgage interest deduction for newly purchased homes (and second homes) would be lowered from total loan balances of $1 million under current law to $750,000. Interest from home equity loans (aka second mortgages) will no longer be deductible, unless the money is used for home improvements.
The deduction for state and local income tax, sales tax, and property taxes ("SALT deduction") will be capped at $10,000. This would have more impact on taxpayers with more expensive property, generally those who live in higher-income areas, or people in states with higher state tax rates.
The act repeals the individual mandate of the Affordable Care Act starting in 2019. This is estimated to save the government over $300 billion, by reducing the number of people with coverage by up to 13 million over time along with related health insurance premium tax subsidies. It is estimated to increase premiums on the health insurance exchanges by up to 10%. It also expands the amount of out-of-pocket medical expenses that may be deducted by lowering threshold from 10% of adjusted gross income to 7.5%, but only for 2017 (retroactively) and 2018. For 2019 and later years, the threshold will increase to 10%.
No changes are made to major education deductions and credits, or to the teacher deduction for unreimbursed classroom expenses, which remains at $250. The bill initially expanded usage of 529 college savings accounts for both K-12 private school tuition and homeschools, but the provision regarding homeschools was overruled by the Senate parliamentarian and removed. The 529 savings accounts for K-12 private school tuition provision was left intact. The act also prohibites new contributions to Coverdell Education Savings Accounts.
Taxpayers will only be able to deduct a casualty loss if it occurs in a disaster that is declared by the president.
Alimony paid to an ex-spouse will no longer be deductible by the payer, and alimony payments will no longer be included in the recipient's gross income. This effectively shifts the tax burden of alimony from the recipient to the payer. This provision is effective for divorce and separation agreements signed after December 31, 2018.
Employment-related moving expenses will no longer be deductible, except for moves related to active-duty military service.
The miscellaneous itemized deductions (which included deductions for tax preparation fees, investment expenses, union dues, and unreimbursed employee expenses) are eliminated.
Fewer people will pay the Alternative minimum tax (AMT) because the act increases the exemption level (from $84,500 to $109,400 for couples; from $54,300 to $70,300 for singles).
The act repeals the ability to recharacterize Roth conversions.
Estate tax
Under current law, estates that exceed $5.6 million are subject to a 40% tax at time of death. The TCJA doubles the taxable threshold to $11.2 million.
Pass-through business taxation
The final bill reduces pass-through taxes via a 20% deduction, after which a lower rate of 29.6% will be applied. This benefit phases out starting at $315,000. Many businesses are incorporated as pass-through entities (e.g., partnerships, and S-corporations) meaning the owners pay taxes at individual rates. These represent 95% of businesses and most of corporate tax revenues. Approximately the largest 2% of pass-through businesses represent 40% of pass-through income and under current law are taxed at 39.6%, the top individual rate.
Corporate tax
The corporate tax rate would fall from 35% to 21%, while some related business deductions and credits would either be reduced or eliminated. The Act would also change the U.S. from a global to a territorial tax system with respect to corporate income tax. Instead of a corporation paying the U.S. tax rate (35%) for income earned in any country (less a credit for taxes paid to that country), each subsidiary would pay the tax rate of the country in which it is legally established. In other words, under a territorial tax system, the corporation saves the difference between the generally higher U.S. tax rate and the lower rate of the country in which the subsidiary is legally established. Bloomberg Journalist Matt Levine explained the concept: "If we're incorporated in the U.S. [under today's global tax regime], we'll pay 35 percent taxes on our income in the U.S. and Canada and Mexico and Ireland and Bermuda and the Cayman Islands, but if we're incorporated in Canada [under a territorial tax regime, proposed by the Act], we'll pay 35 percent on our income in the U.S. but 15 percent in Canada and 30 percent in Mexico and 12.5 percent in Ireland and zero percent in Bermuda and zero percent in the Cayman Islands." In theory, the law would reduce the incentive for tax inversion, which is used today to obtain the benefits of a territorial tax system by moving U.S. corporate headquarters to other countries.
One time repatriation tax of profits in overseas subsidiaries of 8%, 15.5% for cash. U.S. multinationals have accumulated nearly $3 trillion offshore, much of it subsidiaries in tax haven countries. The Act may encourage companies to bring the money home over time, but at these much lower rates.
The corporate Alternative Minimum Tax would be eliminated.
University investment tax
The final bill includes a 1.4% excise tax on investment income of private colleges with assets valued at $500,000 per full-time student, and with at least 500 students. This provision has been referred to as an endowment tax, and it has been estimated that it would apply to around 32 universities. Some provisions from the earlier House bill were dropped that would have taxed graduate student tuition waivers, tuition benefits for children and spouses of employees, and student loan interest. A Senate Parliamentarian ruling on December 19 changed the exemption threshold from 500 tuition-paying students to 500 total students. Endowment funds used to carry out a college's tax-exempt purpose are excluded from the asset threshold, but IRS regulations specifically defining this have not yet been made.
Miscellaneous tax provisions
The Act contains a variety of miscellaneous tax provisions, many advantaging particular special interests. Miscellaneous provisions include:
- A tax break for citrus growers, allowing them to deduct the cost of replanting "citrus plants lost or damaged due to causes like freezing, natural disaster or disease."
- The extension of "full expensing," a favorable tax treatment provision for film and television production companies, to 2022. The provision allows such companies "to write-off the full cost of their investments in the first year." The Joint Committee on Taxation estimates that the extension will lead to the loss of about $1 billion in federal revenue per year.
- A provision ending a corporate tax exemption for certain international airlines with commercial flights to the United States (specifically, in cases where "the country where the foreign airline is headquartered doesn't have a tax treaty with the U.S., and if major U.S. airliners make fewer than two weekly trips to that foreign country"). This provision is seen as likely to disadvantage Gulf airlines (such as Etihad, Emirates and Qatar Airways); major U.S. airlines have complained that the Gulf states provide unfair subsidies to those carriers.
- Reductions in excise taxes on alcohol for a two-year period. The Senate bill would reduce the tax on "the first 60,000 barrels of beer produced domestically by small brewers" from $7 to $3.50 and would reduce the tax on the first 6 million barrels produced from $18 to $16 per barrel. The Senate bill would also extend a tax credit on wine production to all wineries and would extend the credit to the producers and importers of sparkling wine as well. These provisions were supported by the alcohol lobby, specifically the Beer Institute, Wine Institute, and Distilled Spirits Council.
- Exempts private jet management companies from the 7.5% federal excise tax that is levied on each ticket sales of commercial flights.
Arctic National Wildlife Refuge drilling
The Act contains provisions that would open 1.5 million acres in the Arctic National Wildlife Refuge to oil and gas drilling. This major push to include this provision in the tax bill came from Republican Senator Lisa Murkowski. The move is part of the long-running Arctic Refuge drilling controversy; Republicans had attempted to allow drilling in ANWR almost 50 times. Opening the Arctic Refuge to drilling "unleashed a torrent of opposition from conservationists and scientists." Democrats and environmentalist groups such as the Wilderness Society criticized the Republican effort.
Automatic spending cuts averted/PAYGO
Under the Statutory Pay-as-You-Go Act of 2010 (PAYGO), laws that increase the federal deficit will trigger automatic spending cuts unless Congress votes to waive them. Because the Act adds $1.5 trillion to the deficit, automatic cuts of $150 billion per year over ten years would have applied, including a $25 billion annual cut to Medicare. Because the PAYGO waiver is not allowed in a reconciliation bill, it requires separate legislation which requires 60 votes in the Senate to end a filibuster. If Congress had not passed the waiver, it would have been the first time that statutory PAYGO sequestration would have occurred. However, the PAYGO waiver was included in the continuing resolution passed by Congress on December 22 and signed by President Trump.
Maps Tax Cuts and Jobs Act of 2017
Impact
Economy
*Note: macroeconomic analysis for the final version of the bill was not available from the JCT, CBO and TPC as of December 18, 2017. The Senate bill analyses below should not be substantially different from the final bill.
The non-partisan Joint Committee on Taxation of the U.S. Congress published its macroeconomic analysis of the Senate version of the Act, on November 30, 2017:
- Gross domestic product would be 0.8% higher on average each year during the 2018-2027 period relative to the CBO baseline forecast, a cumulative total of $1,895 billion, due to an increase in labor supply and business investment.
- The Act would increase the total budget deficits (debt) by about $1 trillion over ten years including macro-economic feedback effects. The effect of the tax cuts is only partially offset by incremental revenue due to the higher GDP levels. The initial deficit increase estimate without feedback effects of $1,414 billion, less $458 billion in feedback effects, plus increased interest costs of $51 billion due to higher debt levels, results in a $1,007 billion net debt increase over the 2018-2027 period. This increase is in addition to the $10 trillion debt increase already in the CBO current law baseline projected over the 2018-2027 period, and the approximately $20 trillion national debt that already exists.
- Employment would be about 0.6% higher each year during the 2018-2027 period than otherwise. The lower marginal tax rate on labor would provide "strong incentives for an increase in labor supply."
- Personal consumption, the largest component of GDP, would increase by 0.6%.
- Note that for GDP, employment, and consumption, these are higher levels, not higher annual growth rates, so these are relatively minor economic impacts over ten years.
The Tax Policy Center (TPC) reported its macroeconomic analysis of the November 16 Senate version of the Act on December 1, 2017:
- Gross domestic product would be 0.4% higher on average each year during the 2018-2027 period relative to the CBO baseline forecast, a cumulative total of $961 billion higher over ten years. TPC explained that since most tax reductions would benefit high-income households (who spend a smaller share of tax reductions than lower-income households) the effect on GDP would be modest. Further, TPC reported that: "Because the economy is currently near full employment, the impact of increased demand on output would be smaller and diminish more quickly than it would if the economy were in recession."
- The Act would increase the total budget deficits (debt) by $1,412 billion, less $179 billion in feedback effects, for a $1,233 net debt increase (excluding higher interest costs).
- The lower marginal tax rates would increase labor supply, mainly by encouraging lower-earning spouses to work more. This effect would reverse after 2025 due to expiration of individual tax provisions.
The Penn Wharton Budget Model (PWBM) estimated relative to a prior law baseline that by 2027:
- The GDP level would be between 0.6% and 1.1% higher.
- Debt would increase by between $1.9 trillion and $2.2 trillion, including macroeconomic feedback effects.
Budget deficits and debt
The non-partisan Congressional Budget Office (CBO) estimated on December 15, 2017, that implementing the Act would add an estimated $1,455 billion to the national debt over ten years, in addition to the $10 trillion increase forecast under the current policy baseline and existing $20 trillion national debt. Analysis of the similar Senate version indicated the deficit increase from the Act would be $1.0 trillion after macroeconomic feedback effects. CBO reported on December 21, 2017, that: "Overall, the combined effect of the change in net federal revenue and spending is to decrease deficits (primarily stemming from reductions in spending) allocated to lower-income tax filing units and to increase deficits (primarily stemming from reductions in taxes) allocated to higher-income tax filing units."
The Joint Committee on Taxation estimated the Act would add $1,456 billion total to the annual deficits (debt) over ten years and described the deficit effects of particular elements of the Act on December 18, 2017:
Individual and Pass-Through (total: $1,127 billion deficit increase)
- Add to the deficit: Reducing/consolidating individual tax rates $1,214 billion; doubling the standard deduction $720 billion; modifying the Alternative Minimum Tax $637 billion; reduce taxes for pass through business income $415 billion; modification of child care tax credit $573 billion.
- Reduce the deficit: Repealing personal exemptions $1,212 billion, repeal of itemized deductions $668 billion; reduce ACA subsidy payments $314 billion; alternative (slower) inflation measure for brackets $134 billion.
- The pass through changes represent a net $265 billion deficit increase, so the remaining individual elements are a net $862 billion increase.
Business/Corporate and International (total: $330 billion deficit increase)
- Add to the deficit: Reduce corporate tax rate to 21% $1,349 billion; deductions for certain international dividends received $224 billion; repeal corporate AMT $40 billion.
- Reduce the deficit: Enact one-time tax on overseas earnings $338 billion; and reduce limit on interest expense deductions $253 billion.
In a November 2017 survey of leading economists, only 2% agreed with the notion that a tax bill similar to those currently moving through the House and Senate would substantially increase U.S. GDP. The economists unanimously agreed that the bill would increase the U.S. debt.
Distribution
By income level
On December 21, 2017, the Congressional Budget Office (CBO) released its distribution estimate of the Act:
- During 2019, income groups earning under $20,000 (about 23% of taxpayers) would contribute to deficit reduction (i.e., incur a cost), mainly by receiving fewer subsidies due to the repeal of the individual mandate of the Affordable Care Act. Other groups would contribute to deficit increases (i.e., receive a benefit), mainly due to tax cuts.
- During 2021, 2023, and 2025, income groups earning under $40,000 (about 43% of taxpayers) would contribute to deficit reduction, while income groups above $40,000 would contribute to deficit increases.
- During 2027, income groups earning under $75,000 (about 76% of taxpayers) would contribute to deficit reduction, while income groups above $75,000 would contribute to deficit increases.
CBO stated that lower income groups will incur costs, while higher income groups will receive benefits: "Overall, the combined effect of the change in net federal revenue and spending is to decrease deficits (primarily stemming from reductions in spending) allocated to lower-income tax filing units and to increase deficits (primarily stemming from reductions in taxes) allocated to higher-income tax filing units."
The Tax Policy Center (TPC) reported its distributional estimates for the Act. This analysis excludes the impact from repealing the ACA individual mandate, which would apply significant costs primarily to income groups below $40,000. It also assumes the Act is deficit financed and thus excludes the impact of any spending cuts used to finance the Act, which also would fall disproportionally on lower income families as a percentage of their income.
- Compared to current law, 5% of taxpayers would pay more in 2018, 9% in 2025, and 53% in 2027.
- The top 1% of taxpayers (income over $732,800) would receive 8% of the benefit in 2018, 25% in 2025, and 83% in 2027.
- The top 5% (income over $307,900) would receive 43% of the benefit in 2018, 47% in 2025, and 99% in 2027.
- The top 20% (income over $149,400) would receive 65% of the benefit in 2018, 66% in 2025 and all of the benefit in 2027.
- The bottom 80% (income under $149,400) would receive 35% of the benefit in 2018, 34% in 2025 and none of the benefit in 2027, with some groups incurring costs.
- The third quintile (taxpayers in the 40th to 60th percentile with income between $48,600 and $86,100, a proxy for the "middle class") would receive 11% of the benefit in 2018 and 2025, but would incur a net cost in 2027.
The TPC also estimated the amount of the tax cut each group would receive, measured in 2017 dollars:
- Taxpayers in the second quintile (incomes between $25,000 and $48,600, the 20th to 40th percentile) would receive a tax cut averaging $380 in 2018 and $390 in 2025, but a tax increase averaging $40 in 2027.
- Taxpayers in the third quintile (incomes between $48,600 and $86,100, the 40th to 60th percentile) would receive a tax cut averaging $930 in 2018, $910 in 2025, but a tax increase of $20 in 2027.
- Taxpayers in the fourth quintile (incomes between $86,100 and $149,400, the 60th to 80th percentile) would receive a tax cut averaging $1,810 in 2018, $1,680 in 2025, and $30 in 2027.
- Taxpayers in the top 1% (income over $732,800) would receive a tax cut of $51,140 in 2018, $61,090 in 2025, and $20,660 in 2027.
Individual vs. business
According to the CBO, under the Senate version of the bill, businesses receive a $890 billion benefit or 63%, individuals $441 billion or 31%, and estates $83 billion or 6%. U.S. corporations would likely use the extra after-tax income to repurchase shares or pay more dividends, which mainly flow to wealthy investors. According to the Center on Budget and Policy Priorities (CBPP), "Mainstream estimates conclude that more than one-third of the benefit of corporate rate cuts flows to the top 1% of Americans, and 70% flows to the top fifth. Corporate rate cuts could even hurt most Americans since they must eventually be paid for with other tax increases or spending cuts." Corporations have significant cash holdings ($1.9 trillion in 2016) and can borrow to invest at near-record low interest rates, so a tax cut is not a prerequisite for investment or giving workers a raise. As of Q2 2017, corporate profits after taxes were near record levels in dollar terms at $1.77 trillion annualized, and very high measured historically as a percentage of GDP, at 9.2%.
In 2017, the Congressional Budget Office (CBO) compared the U.S. corporate tax rates (statutory and effective rates) as of 2012 across the G20 countries:
- The U.S. federal corporate statutory tax rate of 35% (combined with state elements that add another 4% for a total of 39%), was the highest in the G20 countries. It was 10 percentage points higher than the average. While the U.S. made no changes in federal corporate tax rates between 2003 and 2012, nine of G20 countries reduced their rates.
- The U.S. average corporate tax rate of 29.0% (taxes actually paid as a share of income, after deductions and exemptions) was the third highest in the G20.
- The effective corporate tax rate of 18.6% (a measure of the percentage of income from a marginal investment) was the fourth highest in the G20.
By state
An Institute on Taxation and Economic Policy analysis indicated the Act has more of a tax increase impact on "upper-middle-class families in major metropolitan areas, particularly in Democratic-leaning states where taxes, and usually property values, are higher. While only about one-in-five families between the 80th and 95th income percentiles in most red states would face higher taxes by 2027 under the House GOP bill, that number rises to about one-third in Colorado and Illinois, around two-fifths or more in Oregon, Virginia, Massachusetts, New York and Connecticut, and half or more in New Jersey, California and Maryland..."
If the tax cuts are paid for
The scoring by the organizations above assumes the tax cuts are deficit-financed, meaning that over ten years the deficit rises by $1.4 trillion relative to the current law baseline; or $1.0 trillion after economic feedback effects. However, if one assumes the tax cuts are paid for by spending cuts, the distribution is much more unfavorable to lower- and middle-income persons, as most government spending is directed to them; the higher income taxpayers tend to get tax breaks, not direct payments. According to the Tax Policy Center, if the Senate bill were financed by a $1,210 per household cut in government spending per year (a more likely scenario than focusing cuts proportionally by income or income taxes paid), then during 2019:
- Approximately 72% of taxpayers would be worse off than current law, meaning benefits from tax cuts would be more than offset by reduced spending on their behalf.
- The bottom 60% of taxpayers would have lower after-tax income, paying a higher average federal tax rate.
- The benefits to the 60th to 80th percentiles would be minimal, a $350 net benefit on average or 0.3% lower effective tax rate.
- Significant tax benefits would only accrue to the top 20% of taxpayers.
Republican politicians such as Paul Ryan have advocated for spending cuts to help finance the tax cuts, while the President Trump's 2018 budget includes $2.1 trillion in spending cuts over ten years to Medicaid, Affordable Care Act subsidies, food stamps, Social Security disability insurance, Supplemental security income, and cash welfare (TANF).
Healthcare impact
The Senate bill repeals the individual mandate that requires all Americans under 65 to have health insurance or pay a penalty. The CBO estimated that 13 million fewer persons would have health insurance by 2025, including 8 million fewer on the Affordable Care Act exchanges and 5 million fewer on Medicaid. Fewer persons with healthcare means lower costs for the government, so CBO estimated over $300 billion in savings. This allowed Republicans to increase the size of the tax cuts in the bill. Health insurance premiums on the exchanges could rise as much as 10 percentage points more than they would otherwise.
Claims made by the Administration
The Administration and its Council of Economic Advisors have made several claims in advocating the Act during 2017, including:
- Reduction in corporate tax rates from 35% to 20% and immediate full expensing of non-structure investments (e.g., IT investments) will increase GDP growth rates by 3 to 5 percentage points over the current baseline projections of around 2%. This could begin as early as 3-5 years from the tax cuts or further out in time. This projection excludes other tax cuts in the Act, such as those for individuals and pass-through entities, which may have additional GDP impact.
- The mechanism for this increased growth is higher levels of business investment (one of the components of GDP) due to the additional after-tax income available.
- Further, this growth in GDP (a measure of income as well as production) would represent an average $4,000 annual increase in wage and salary income for households.
- President Trump and Treasury Secretary Mnuchin have stated the tax cuts would pay for themselves.
- Trump economic advisor Gary Cohn stated that "The wealthy are not getting a tax cut under our plan." He also stated that the plan would cut taxes for low-income and middle-income households. Further, Trump stated that the tax plan "...was not good for me [personally]."
Objections
Increases the budget deficit and debt
Maya MacGuineas of the Committee for a Responsible Federal Budget wrote that the tax cuts would add $1.5 trillion more to the debt over a decade, on top of $10 trillion already forecast. She explained that when the 2001 Bush tax cuts were passed, debt was 31% GDP, while today it is 77% GDP, "higher than any time in history other than just after World War II." She concluded that: "Instead of trickling down economic growth, the House plan will unleash a tidal wave of debt that will ultimately slow wage growth and hurt the economy."
Increases taxes on the middle-class
Both the House and Senate versions of the bill will raise taxes for middle- and lower-income persons, after initial cuts. For example, the Senate version of the bill will result in tax increases for those earning less than $75,000 by 2027. David Leonhardt wrote: "An assortment of middle-class tax increases--again, to help cover the cost of the tax cuts for the wealthy--last for the full life of the Senate bill. As a result, it ends up being a tax increase on households making less than $75,000." Leonhardt explained that in 2027, after-tax income falls between 0.1-1.5% for incomes below $75k, while incomes above $500k see benefits of 0.4-0.6%.
Leonhardt referred to the JCT study of the Senate version of the bill, which indicated that: a) Starting in 2021 those earning $10,000-30,000 (24% of taxpayers) pay more in taxes; b) In 2023 and 2025, those earning $0-$30,000 (34% of taxpayers) pay more in taxes; and c) In 2027, income groups below $75,000 (65% of taxpayers) pay more in taxes, while tax cuts remain for those earning over $75,000 (35% of taxpayers).
Minor impact on economic growth
Paul Krugman disputed the Administration's primary argument that tax cuts for businesses will stimulate investment and higher wages:
- Foreigners own about 35% of U.S. equities, so as much as $700 billion of the tax cut will go overseas, as corporate after-tax income will flow to these investors as stock buybacks and dividends.
- CEO's indicate that tax cuts aren't a big factor in investment decisions.
- Significantly increasing capital expenditures requires an inflow of foreign capital, strengthening the dollar, increasing trade deficits and potentially costing up to 2.5 million manufacturing and supporting jobs.
In November 2017, the University of Chicago asked over 40 economists if U.S. GDP would be substantially higher a decade from now, if either the House or Senate bills were enacted, with the following results: 52% either disagreed or strongly disagreed, while 36% were uncertain and only 2% agreed.
The Tax Policy Center estimated that GDP would be 0.3% higher in 2027 under the House bill versus current law, while the University of Pennsylvania Penn Wharton budget model estimates approximately 0.3-0.9% for both the House and Senate bills. The very limited effect estimated is due to the expectation of higher interest rates and trade deficits. These estimates are both contrary to the Administration's claims of 10% increase by 2027 (about 1% per year) and Senator Mitch McConnell's estimate of a 4.1% increase.
Federal Reserve Bank of NY President and CEO William C. Dudley stated in January 2018: "While this legislation will reduce federal revenues by about 1 percent of GDP in both 2018 and 2019, I anticipate the boost to economic growth will be less than that. Most importantly, most of the tax cuts accrue to the corporate sector and to higher-income households that have a relatively low marginal propensity to consume. This suggests that a significant portion of the tax cuts will be saved, not spent."
Limited or no wage impact
Corporate executives indicated that raising wages and investment were not priorities should they have additional funds due to a tax cut. A survey conducted by Bank of America-Merrill Lynch of 300 executives of major U.S. corporations asked what they would do with a corporate tax cut. The top three responses were: 1) Pay down debt; 2) Stock buybacks, which are a form of payment to shareholders; and 3) Mergers. An informal survey of CEO's conducted by Trump economic advisor Gary Cohn resulted in a similar response, with few hands raised in response to his request for them to do so if their company would invest more.
Economist and former Treasury Secretary Larry Summers referred to the analysis provided by the Trump administration of its tax proposal as "...some combination of dishonest, incompetent, and absurd." Summers wrote that the Trump administration's "central claim that cutting the corporate tax rate from 35 percent to 20 percent would raise wages by $4,000 per worker" lacked peer-reviewed support and was "absurd on its face."
On December 20, 2017, the day the final bill was passed by the House, Wells Fargo, Fifth Third Bancorp and Western Alliance Bancorp announced they would raise the minimum wage of its workers to $15 an hour upon signing of the bill. A number of companies announced bonuses for workers, including AT&T which said it will give a $1,000 bonus to every single one of its 200,000 employees as a result of the Tax Cut bill. Democratic Senator Chuck Schumer stated that these were the exception to the rule and that AT&T was in litigation with the government over a pending merger. He stated: "There is a reason so few executives have said the tax bill will lead to more jobs, investments, and higher wages -- because it will actually lead to share buybacks, corporate bonuses, and dividends."
In the immediate aftermath of the passage of the Act, a relatively small number of corporations--many of them involved in mergers disputed by the government or regulatory difficulties--raised wages or paid bonuses to employees. About 18 companies in the S&P did so; when companies paid awards to employees, these were usually a small percentage of corporate savings from the Act. A January 2018 study from the firm Willis Towers Watson found that 80% of companies were not "considering giving raises at all."
Benefits rich owners much more than workers
Treasury Secretary Steven Mnuchin argued that the corporate income tax cut will benefit workers the most; however, the nonpartisan Joint Committee on Taxation and Congressional Budget Office estimate that owners of capital benefit vastly more than workers.
The New York Times compared average tax rates under the TCJA vs. current law for each income group over time using a series of charts. They show that the Senate version of the bill cuts taxes for lower income persons initially relative to a current law baseline, but by 2027, those earning $50,000 or less would face a tax increase. In contrast, those earning $500,000 or more would have lower taxes initially as well as in 2027. The effect on the lower income persons is more significant if the ACA individual mandate is repealed, as more persons would choose not to sign up for healthcare coverage and thus lose subsidies.
The Act also lowers the taxes paid by pass through entities such as S-corporations, partnerships, and limited liability companies, even though pass-through income mainly flows to higher income owners:
- About 70% of pass-through income flows to the top 1%.
- The Tax Policy Center (TPC) estimated that only 19% of middle-class taxpayers have pass-through income, while 77% of the top 1% do. Further, TPC estimated that 85-88% of the benefit from a 25% cap on pass-through taxes (similar to what the House version of the Act proposes) would go to the top 1%.
- Pass-through income is the majority of income for persons earning over $3.5 million per year, a subset of the top 0.1%.
Increases income and wealth inequality
The New York Times editorial board explained the tax bill as both consequence and cause of income and wealth inequality: "Most Americans know that the Republican tax bill will widen economic inequality by lavishing breaks on corporations and the wealthy while taking benefits away from the poor and the middle class. What many may not realize is that growing inequality helped create the bill in the first place. As a smaller and smaller group of people cornered an ever-larger share of the nation's wealth, so too did they gain an ever-larger share of political power. They became, in effect, kingmakers; the tax bill is a natural consequence of their long effort to bend American politics to serve their interests." The corporate tax rate was 48% in the 1970s and is 21% under the Act. The top individual rate was 70% in the 1970s and is 37% under the Act. Despite these large cuts, incomes for the working class have stagnated and workers now pay a larger share of the pre-tax income in payroll taxes.
The share of income going to the top 1% has doubled, from 10% to 20%, since the pre-1980 period, while the share of wealth owned by the top 1% has risen from around 25% to 42%. Despite President Trump promising to address those left behind, the House and Senate bills would increase economic inequality:
- Sizable corporate tax cuts would flow mostly to wealthy executives and shareholders;
- In 2019, a person in the bottom 10% would average a $50 tax cut, while a person in the top 1% gets a $34,000 tax cut;
- Up to 13 million persons losing health insurance or subsidies are overwhelmingly in the bottom 30% of the income distribution;
- The top 1% receives approximately 70% of the pass-through income, which will be subject to much lower taxes;
- Rolling back the estate tax, which only impacted the top 0.2% of estates in 2016, is a $150 billion benefit [Note: $83 billion in final bill] to the ultra-rich over ten years.
- The top 1% of households by wealth own 40% of stocks; the bottom 80% just 7%, even when including indirect ownership through mutual funds.
- According to a Gallup survey, 52% of Americans owned some stock in 2016, down from 65% in 2007.
In 2027, if the tax cuts are paid for by spending cuts borne evenly by all families, after-tax income would be 3.0% higher for the top 0.1%, 1.5% higher for the top 10%, -0.6% for the middle 40% (30th to 70th percentile) and -2.0% for the bottom 50%.
May increase the trade deficit, hurting employment
A potential consequence of the proposed tax reform, specifically lowering business taxes, is that (in theory) the U.S. would be a more attractive place for foreign capital (investment money). This inflow of foreign capital would help fund the surge in investment by corporations, one of the stated goals of the legislation. However, a large inflow of foreign capital would drive up the price of the dollar, making U.S. exports more expensive, thus increasing the trade deficit. Paul Krugman estimated this could adversely impact up to 2.5 million U.S. jobs.
According to The New York Times, "wide range of experts agree that cutting taxes is likely to increase the trade deficit" with other countries, which conflicts with the stated priority of the White House to reduce the trade deficit. However, Economists widely reject however that reducing the trade deficit necessarily has to be good for the economy. So the fact that this bill may increase the trade deficit will not necessarily decrease American welfare.
May trigger mandatory spending cuts
Paul Krugman wrote that deficits driven by tax cuts could trigger cuts in Medicare by law, opening the door to other safety net cuts to programs such as disability insurance. An estimated 13 million Americans could no longer have health insurance under the Senate version of the Act, which would repeal the ACA's individual health insurance mandate, a provision in the ACA which imposes a tax penalty on those who choose not to buy health insurance.
Neither the House nor the Senate versions of the Act specify how the approximately $1.7 trillion debt increase will be paid for. Therefore, the estimates of its impact on the lower- to middle-classes do not include future reductions in spending that Republicans may attempt to pass to offset the Act's deficit impact. For example, David Leonhardt explained in The New York Times that: "[A]ll of these estimates understate the long-term damage to the middle class, because they ignore the cuts to education, transportation, Medicare, Medicaid and Social Security that will eventually be necessary to reduce the deficit."
Three former Secretaries of Defense (Leon Panetta, Ash Carter, and Chuck Hagel) wrote a letter to congressional leaders on November 15, 2017, arguing the additional deficits driven by the tax cuts would ultimately result in reduced military spending and endanger national security by forcing the reduction in funding "for training, maintenance, force structure, flight missions, procurement and other key programs." Panetta, Carter, and Hagel wrote that the Act would increase the danger of a "'hollowed out' military force that lacks the ability to sustain the intensive deployment requirements of our global defense mission."
The Fed may counteract the stimulus
Federal Reserve officials had indicated earlier in 2017 that aggressive tax cuts could increase the pace of interest rate increases already planned. Higher interest rates make borrowing more expensive, slowing economic growth (GDP), other things equal. The Fed also raises interest rates to help offset the risk of inflation in a growing economy near full employment. However, as the tax plan became clearer and its impact on the economy was judged to be relatively minor, the Fed indicated that a plan to raise interest rates incrementally as many as three times in 2018 would not be changed.
Taxes are already low by global standards
In November 2017, the OECD reported that the U.S. tax burden was lower in 2016 than the OECD country average, measured as a percentage of GDP:
- Individual taxes were 26.0% GDP in 2016, versus the OECD average of 34.3%.
- U.S. corporate taxes were 8.5% GDP in 2016, versus the OECD average of 8.9%.
Journalist Justin Fox wrote in Bloomberg that Americans may feel financial pressure due to healthcare and college tuition costs, which are much higher than other OECD countries measured as a share of GDP, offsetting the benefit of the already lower tax structure.
Personally enriches the Trump family and certain Republican congressmen
Fact-checkers such as FactCheck.Org, PolitiFact and The Washington Post's fact-checker have found that Trump's claims that his economic proposal and tax plan would not benefit wealthy persons like himself are likely false. The elimination of the estate tax (which only applies to inherited wealth greater than $11 million for a married couple) benefits only the heirs of the very rich (such as Trump's children), and there is a reduced tax rate for people who report business income on their individual returns (as Trump does). An analysis by The New York Times found that if Trump's tax plan had been in place in 2005 (the one recent year in which his tax returns were leaked), he would have saved $11 million in taxes. The analysis also found that Trump would save $4.4 million on his eventual estate tax bill. Experts say that the financial windfall for the President and his family from this bill is "virtually unprecedented in American political history".
A number of Republican congressmen also stand to benefit personally from the tax plan. Most notably, Tennessee Senator Bob Corker was for some time the sole Republican Senator to oppose the tax plan, having stated that he would not support a tax plan that would increase the deficit; but Corker changed his vote to yes on the final version of the bill after a specific carved-out provision was added to the bill that Corker stood to benefit from. Corker rejected that he traded his vote for provisions that benefited him and said that he had no idea that there were provisions in the bill that he personally stood to benefit from.
Impact on science and graduate education
The bill that passed the House has been criticized for its significant negative impact on graduate students. Graduate students in private universities might see their effective tax rate go above 41.9%, a rate higher than what even the richest of Americans typically pay. The change is due to one of the propositions in the bill that repeals the deduction for qualified tuition and related expenses, meaning that graduate students' waived tuition would be viewed as taxable income. Given that their stipends are significantly less than the waived tuition, this would typically increase their taxes by 30-60% for public universities and hundreds of percent for private ones. The Senate version of the bill does not contain these provisions.
The House bill's disadvantageous treatment of graduate students was criticized because of its projected negative effect on the training of U.S. scientists. The bill's impact on U.S. science and innovation has been criticized by Stanford professor emeritus Burton Richter, a winner of the Nobel Prize in Physics and the National Medal of Science, who critiqued the bill's negative impact on Americans seeking advanced degrees and wrote that the budget impact of the tax cuts would force a dramatic reduction in federal funding for scientific research.
Encourages tax avoidance, fails to simplify the tax code
According to The New York Times, "economists and tax experts across the political spectrum warn that the proposed system would invite tax avoidance. The more the tax code distinguishes among types of earnings, personal characteristics or economic activities, the greater the incentive to label income artificially, restructure or switch categories in a hunt for lower rates." According to The Wall Street Journal, the bill's changes to "business and individual taxation could lead to a new era of business reorganization and tax-code gamesmanship with unknown consequences for the economy and federal revenue collection."
Republicans justified the tax reform initially as an effort to simplify the tax code. Kevin Brady, the chairman of the House Ways and Means Committee, and Speaker Paul Ryan said in November 2017 that they would simplify the tax code so much that 9 in 10 Americans would be able to file their taxes on a postcard. President Donald Trump said on December 13, 2017, that people would be able to file their taxes "on a single, little, beautiful sheet of paper". However, when the final version of the tax legislation passed through houses of Congress, the legislation kept most loopholes intact and did not simplify the tax code. The announcements by the House leaders hurt the stock prices of tax preparers, but upon the release of the actual bill, the stock prices of tax preparers sharply increased.
Speed of process
The legislation was passed by Congress with little debate regarding the comprehensive reforming nature of the Act. The 400-page House bill was passed two weeks after the legislation was first released, "without a single hearing" held. In the Senate, the final version of the bill did not receive a public hearing, "was largely crafted behind closed doors, and was released just ahead of the final vote." Republicans rewrote major portions of tax bill just hours before the floor vote, making major changes in order to win the votes of several Republican holdouts. Many last-minute changes were handwritten on earlier drafts of the bill. The revisions appeared "first in the lobbying shops of K Street, which sent back copies to some Democrats in the Senate, who took to social media to protest being asked to vote in a matter of hours on a bill that had yet to be shared with them directly."
The rushed approval of the legislation prompted an outcry from Democrats. Senate Minority Leader Charles Schumer (D-NY) proposed giving senators more time to read the legislation, but this motion failed after every Republican voted no. Requests to wait until incoming Democratic senator Doug Jones of Alabama could vote on the bill were also denied. Some commentators also criticized the process. The New York Times editorial board wrote that the Senate's move to rapidly approve the bill "is not how lawmakers are supposed to pass enormous pieces of legislation" and contrasted the bill to the 1986 tax bill, in which "Congress and the Reagan administration worked across party lines, produced numerous drafts, held many hearings and struck countless compromises." Bloomberg columnist Al Hunt classified the legislation as a "slipshod product, legislated with minimal transparency" that was "rushed so fast through a short-circuited lawmaking process" in which many members of Congress who voted in favor of the bill did not fully understand what they had done.
Objections from foreign countries
The finance ministers of the five largest European economies (Britain, Germany, France, Italy and Spain) wrote a letter to U.S. Treasury Secretary Steve Mnuchin, expressing concern that the tax reforms could trigger a trade war, as they would violate World Trade Organization rules and distort international trade. Similar concerns were voiced by China. In response to the Act, German economists called for the German government to enact tax reform and additional subsidies to prevent a loss of jobs and investments to the US.
Confusion about the name of the law
The Short Title reference of "Tax Cuts and Jobs Act" was not approved by Senate in the final enactment of the reconciliation law due to a dispute that was settled by the Senate Parliamentarian. The tax act is, officially, a set of tax law changes to the Internal Revenue Code that were appended to a budget reconciliation law without Short Title, and its proper reconciliation name (either, the Long Title, or Public Law 115-97, or some generic abbreviation) is currently used in referring to the actual law. Nevertheless, as of early 2018, the proposed rejected Short Title name had gained currency within some political and professional circles who continue to use "Tax Cuts and Jobs Act" to refer to Public Law 115-97, and so the Act may be inaccurately referred to by its rejected Short Title in some instances.
Polls
Passage through the House and Senate
The bill was introduced in the United States House of Representatives on November 2, 2017, by Congressman Kevin Brady, Republican representative from Texas. On November 9, 2017, the House Ways and Means Committee passed the bill on a party-line vote, advancing the bill to the House floor. The House passed the bill on November 16, 2017, on a mostly-party line vote of 227-205. No Democrat voted for the bill, while 13 Republicans voted against it. Companion legislation was passed by the Senate Finance Committee and Senate Budget Committee, both times on a straight party-line vote. In the early morning hours of December 2, 2017, the Senate passed their version of the bill by a 51-49 vote. Bob Corker (R-TN) was the only Republican senator to vote against the measure and it received no Democratic Party support. Differences between the House and Senate bills were reconciled in a conference committee that signed the final version on December 15, 2017. The final version contained relatively minor changes from the Senate version. The President then signed the bill into law on December 22, 2017.
Differences between the House and Senate bills
There were important differences between the House and Senate versions of the bills, due in part to the Senate reconciliation rules, which required that the bill impact the deficit by less than $1.5 trillion over ten years and have minimal deficit impact thereafter. For example:
- The House plan had four income tax brackets ranging from 12% to 39.6%, while the Senate bill kept seven brackets ranging from 10% to 38.5%.
- The House plan cut the corporate tax immediately, while the Senate plan delayed it until 2019.
- The House plan made both individual and corporate taxes "permanent" (i.e., no set expiration) while the Senate bill had most of the individual tax cuts expiring (but not the business cuts).
- The House plan did not repeal the health insurance individual mandate, while the Senate bill did.
- The House plan eliminated deductions for state, local, and sales taxes paid, and capped property deductions at $10,000. The Senate bill initially would have eliminated the state and local property tax deduction, but this was later changed to $10,000 as well.
- The House plan allowed parents to put aside money for an unborn child's college education. The Senate bill did not include this provision.
- The House plan capped the deduction for mortgage interest to the first $500,000 mortgage debt versus the current $1 million, while the Senate did not change it.
- The House plan repealed the Johnson Amendment. The Senate version did not. The final Act as enacted did not include a repeal of the Johnson Amendment.
In final changes prior to approval of the Senate bill on December 2, additional changes were made (among others) that were reconciled with the House bill in a conference committee, prior to providing a final bill to the President for signature. The Conference Committee version was published on December 15, 2017. It had relatively minor differences compared to the Senate bill. Individual and pass-through tax cuts "sunset" (expire) after ten years, while the corporate tax changes are permanent.
Support and opposition
Notable supporters
Leading Republicans support the bill, including President Donald Trump and Vice President Mike Pence, and Republicans in Congress, such as:
- Paul Ryan, Speaker of the United States House of Representatives(R-WI)
- Kevin Brady, United States congressman (R-TX)
- Mitch McConnell, Senate Majority Leader, United States Senator (R-KY)
- Kevin McCarthy, House Majority Leader (R-CA)
The House passed the bill on a mostly-party line vote of 227-205. No Democrat voted for the bill, while 13 Republicans voted against it.
In the Senate, Republicans "eager for a major legislative achievement after the Affordable Care Act debacle ... have generally been enthusiastic about the tax overhaul."
A number of Republican senators who initially expressed trepidation over the bill, including Ron Johnson of Wisconsin, Susan Collins of Maine, and Steve Daines of Montana, ultimately voted for the Senate bill.
The Senate passed the bill, with amendments, on a mostly-party line vote of 51-49. Every Democrat voted against the bill, while every Republican voted for it, except Senator Bob Corker of Tennessee.
Republican supporters of the tax bill have characterized it as a simplification of the tax code. While some elements of the legislation would simplify the tax code, other provisions would add additional complexity. For most Americans, the process for filing taxes under the Republican legislation would be similar to what it is today.
Notable opponents
Democrats oppose the legislation, viewing it as a giveaway to corporations and high earners at the expense of the middle class. Every House Democrat voted against the bill when it came to the House floor; they were joined by 13 Republicans who voted against it.
The top congressional Democrats--Senate Minority Leader Chuck Schumer of New York and House Minority Leader Nancy Pelosi--strongly oppose the bill. Schumer said of the bill that "The more it's in sunlight, the more it stinks." Pelosi said the legislation was "designed to plunder the middle class to put into the pockets of the wealthiest 1 percent more money. ... It raises taxes on the middle class, millions of middle-class families across the country, borrows trillions from the future, from our children and grandchildren's futures to give tax cuts to the wealthiest and encourages corporations to ship jobs overseas."
The 13 House Republicans who voted against the bill were mostly from New York, New Jersey, and California, and were opposed to the bill's elimination of the state and local income tax deduction in the bill, which benefits those states.
Views of economists
Most academic economists stated that there is no empirical evidence that the tax plan would benefit the economy as much as the Trump administration claimed it will. There is, however, a consensus that it will widen public deficits and economic inequalities.
Four winners of the Nobel Prize in Economics have spoken out against the legislation: Joseph Stiglitz, Paul Krugman, Richard Thaler, and Angus Deaton.
A group of 137 economists signed an open letter expressing support for the bill; the letter was touted by President Trump, House Speaker Paul Ryan and the Senate Finance Committee as support for the legislation among economists; the letter was criticized by left-liberal publications that cited independent research which contradicted some of its claims and alleged that it contained signatories who did not exist. A group of nine economists (largely from the Reagan and Bush administrations) wrote a letter which estimated 3 percent growth from the reduction in the corporate tax rate within a decade; the letter was challenged by Harvard economists Larry Summers and Jason Furman (both of whom served in the Obama administration), and the nine economists appeared to back off from their original claims.
Political significance
In November 2017, Senator Lindsey Graham (R-SC) said that "financial contributions will stop" flowing to the Republican Party if tax reform is unable to be passed. This echoed comments by Representative Chris Collins (R-NY), who said, "My donors are basically saying 'get it done or don't ever call me again.'"
Congressional votes
Pre-conference vote
It was introduced in the United States House of Representatives on November 2, 2017, by Congressman Kevin Brady, Republican of Texas. On November 9, 2017, the House Ways and Means Committee passed the bill on a party-line vote, advancing the bill to the House floor. The House passed the bill on November 16, 2017, on a mostly-party line vote of 227-205. No Democrat voted for the bill, while 13 Republicans voted against it. On the same day, companion legislation passed the Senate Finance Committee, again on a party-line vote, 14-12. On November 28, the legislation passed the Senate Budget Committee, again on a party-line vote. On December 2, the Senate passed its version by 51-49, with Bob Corker being the only Republican not to vote in support of the bill.
The benefits of the individual tax cuts fade over time, so the Senate can attempt to pass the bill with only 51 votes under the budget reconciliation process. This is specifically to comply with the Byrd Rule, which allows Senators to block legislation if it would increase the deficit significantly beyond a ten-year term.
House of Representatives
Senate
Post-conference vote
The final version of the bill initially passed in the House of Representatives by a vote of 227-203 on December 19, 2017. In the December 19 vote, the same Republicans who voted against the original House bill still voted against it, with the exception of Tom McClintock. However, several provisions of the bill violated the Senate's procedural rules, causing the need for the House of Representatives to re-vote with the provisions removed. On December 20, the Senate passed the bill by a party-line vote of 51-48. On the same day, the House of Representatives re-voted on the bill and passed it by a vote of 224-201.
House of Representatives
Senate
See also
- Bush tax cuts
- Reagan tax cuts
- Revenue Act of 1964
Notes and references
Notes
References
External links
- Text of the Law
Source of article : Wikipedia