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1 J. D. Foster, Where Economics and Politics Meet 1 (1997)

handle is hein.taxfoundation/whepmeetxz0001 and id is 1 raw text is: TAXW
FOUNDATION
July 1997

Where Economics and Politics Meet

According to the Joint Tax Committee, 75
percent of the value of the tax cuts in the tax
bills before the Congress would go to house-
holds earning less than $75,000 annually.
According to the Treasury Department, under
these tax bills the top 1 percent of taxpayers
get the same amount of tax relief as the
bottom 60 percent of taxpayers. Can both
statements be true? Actually, yes.
It should surprise no one that, in Washing-
ton, something can be both more and less at
the same time. While such a phenomenon
might defy Newtonian physics, it occurs with
ease in that hazy comer of the galaxy where
economic statistics and politics come together.
The main culprit in the debate, not
surprisingly, is capital gains relief. Under the
House bill and according to the JTC, capital
gains relief raises receipts in the first two
years, reduces receipts in the next two, raises
receipts again in the fifth, and loses money
thereafter. Casual observers will probably
think there's something fishy going on when a
tax rate cut is projected to raise revenues.
Actually, this curious result is due to the well-
established principle that taxpayers will
accelerate their realizations in the face of
capital gains relief, but that there is a limited
pool of capital gains taxpayers have accrued
over the years and will want to realize once
the tax rate is lower.
Faced with such an interesting pattern of
receipts, how does one calculate the tax
distribution? For the first year? Over the first
five years, as the JTC prefers? Over 10 years,
as Treasury prefers? As the average of the 10
years? As the discounted value of all future tax
cuts? The answer can obviously make a big
difference.
Another dimension to the capital gains
conundrum is the treatment of the accelerated
capital gains taxes paid. Remember, the

capital gains cut raises revenue in the first two
and fifth years because some individuals with
accrued capital gains realize those gains, and
pay tax, sooner rather than later. The JTC
takes the common-sense approach that a tax is
a tax is a tax. If more taxes are paid, it's a tax
increase. Thus, according to JTC, the in-
creased revenues in the first two and the fifth
years represent a tax increase.
The Treasury argues that the taxpayer had
accrued a capital gain and that he or she
would have sold the asset and realized at some
point anyway. At that time, the capital gains
would have faced a higher rate but for the tax
bill under consideration. Therefore, the fact
that the tax was paid now rather than later is
immaterial to whether the taxpayer faces a
lower rate or not, or whether the taxpayer gets
a tax cut or not.
Analytically, the Treasury has a point, but
only up to a point. Perhaps the gain would
not have been realized in the future without an
offsetting capital loss from the sale of some
other asset. In this case, no tax would have
been paid, so the fact that the asset was sold
earlier actually means the capital gains tax paid
may represent a tax increase. Or perhaps the
gain would never have been realized because
the asset would have carried over to the
owner's estate and therefore qualified for a
step-up in basis. Again, this would mean the
tax paid today is a clear tax increase.
Tax distribution tables have once again
played a central role in the developing a tax
bill. Whether these tables should be used as
props in the fairness debate is a question for
another day. But those who use them, and
those who want to understand them, need to
understand as well that there's a lot more art
than science involved in producing these
tables. And art is often a matter of taste and
preferences.

By Dr. JD. Foster
Executive Director and
Chief Economist
Tax Foundation

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