8 Huge Corporate Handouts in the Fiscal Cliff Bill [View all]
8 Huge Corporate Handouts in the Fiscal Cliff Bill
Here are the corporate subsidies in the fiscal cliff bill that you may not know about.
January 1, 2013
Naked Capitalism / By Matt Stoller

Throughout the months of November and December, a steady stream of corporate CEOs flowed in and out of the White House to discuss the impending fiscal cliff. Many of them, such as Lloyd Blankfein of Goldman Sachs, would then publicly come out and talk about how modest increases of tax rates on the wealthy were reasonable in order to deal with the deficit problem. What wasnt mentioned is what these leaders wanted, which is whats known as tax extenders, or roughly $205B of tax breaks for corporations. With such a banal name, and boring and difficult to read line items in the bill, few political operatives have bothered to pay attention to this part of the bill. But it is critical to understanding what is going on.
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5) Subsidies for Goldman Sachs Headquarters Sec. 328 extends tax exempt financing for York Liberty Zone, which was a program to provide post-9/11 recovery funds. Rather than going to small businesses affected, however, this was, according to Bloomberg, little more than a subsidy for fancy Manhattan apartments and office towers for Goldman Sachs and Bank of America Corp. Michael Bloomberg himself actually thought the program was excessive, so thats saying something. According to David Cay Johnstons The Fine Print, Goldman got $1.6 billion in tax free financing for its new massive headquarters through Liberty Bonds.
6) $9B Off-shore financing loophole for banks Sec. 322 is an Extension of the Active Financing Exception to Subpart F. Very few tax loopholes have a trade association, but this one does. This strangely worded provision basically allows American corporations such as banks and manufactures to engage in certain lending practices and not pay taxes on income earned from it. According to this Washington Post piece, supporters of the bill include GE, Caterpillar, and JP Morgan. Steve Elmendorf, super-lobbyist, has been paid $80,000 in 2012 alone to lobby on the Active Financing Working Group.
7) Tax credits for foreign subsidiaries Sec. 323 is an extension of the Look-through treatment of payments between related CFCs under foreign personal holding company income rules. This gibberish sounding provision cost $1.5 billion from 2010 and 2011, and the US Chamber loves it. Its a provision that allows US multinationals to not pay taxes on income earned by companies they own abroad.
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