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72 Tax L. Rev. 151 (2018-2019)
The Death and Life of the State and Local Tax Deduction

handle is hein.journals/taxlr72 and id is 167 raw text is: 





  The Death and Life of the State and

                 Local Tax Deduction


                         DANIEL HEMEL*


                            INTRODUCTION

  More  than a century and  a half after its birth, the federal income tax
deduction  for  nonbusiness  state and  local taxes  has  shrunk  to a
shadow  of its former self. While a series of legislative enactments over
the past several decades had  already chipped away  at the deduction's
scope, the 2017 Act  struck the biggest blow to the deduction yet.' For
the next seven  years, only about a tenth of taxpayers  will be able to
derive  any  benefit from   the deduction  for  state and  local taxes
(SALT).2  And  those that still claim the SALT deduction  will run into
a $10,000  cap that in many  cases will severely limit the benefit they
can claim.3
  But  it would be premature  to publish the SALT   deduction's  obitu-
ary just yet. For one thing, the limits on the SALT   deduction  in the
2017 Act  expire after December  31, 2025.4 The SALT   deduction is not
dead-it's  just cryogenically frozen. More immediately,  several states
are seeking to enact laws  that could resuscitate the provision at least
in part. Some of those efforts may be stymied by regulations that Trea-
sury and  the Internal Revenue  Service (IRS) plan  to promulgate, but
others will survive intact. States may even  enact reforms  that effec-
tively expand  the deduction's scope as compared   to pre-2018 law.

  * Assistant Professor, University of Chicago Law School. Thanks to Michael Christ for
excellent research assistance, to Mitchell Kane and Jeremy Bearer-Friend for thoughtful
edits, and to participants in the National Tax Association 48th Annual Spring Symposium,
the Boston College Law School Tax Policy Workshop Series, the Brigham Young
University Law School Tax Policy Colloquium, the Stanford Law School Tax Policy
Seminar, and the University of British Columbia Allard School of Law Tax Policy
Workshop Speaker Series for insightful comments. Special thanks to Joseph Bankman,
Jacob Goldin, David Kamin, Darien Shanske, and Kirk Stark for conversations that helped
me formulate my thoughts on this subject. All errors are the author's.
  I Pub. L. No. 115-97, § 11042, 131 Stat. 2054, 2085-86 (2017).
  2 See Tax Policy Ctr., Model Estimates, Distribution Tables by Dollar Income Class,
tbl.T18-0001 (2018), https://www.taxpolicycenter.org/model-estimates/impact-itemized-de-
ductions-tax-cuts-and-jobs-act-jan-2018/tl 8-0001-impact-number (estimating that only
10.9% of tax units will choose to itemize deductions under current law).
  3 See IRC § 164(b)(6).
  4 See IRC § 164(b)(6).
                                  151

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