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Closing the Loopholes on Tax Reform
| Article
# : |
10553 |
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Section : |
CURRENT ISSUES
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| Issue
Date : |
2 / 1986 |
1,861 Words |
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Staunton Calvert Staunton Calvert served in the Internal Revenue Service from
1940 until 1967, where he participated in projects to
modernize the tax codes of such nations as Chile, India, the
Philippines, and Argentina. He also headed the Wealth
Statistics Department from 1963 until his retirement. He
received his bachelor and master degrees in economics and
statistics from the University of Missouri. |
It is more or less evident to citizens by now - whether they like it or not - that simplifying the Internal Revenue Code should do two things: reduce inappropriate burdens and increase the ease of administration.
One of the first principles of a tax code that fulfills these requirements, the principle of taxes for revenue only, was endorsed in May 1977 by then Commission of Internal Revenue Jerome Kurtz. In his speech, "Tax Simplification," he said, " ……we should diligently resist attempts to use the tax law to achieve social goals, since such measures do not merely complicate the tax system, but may make it, in fact, less equitable."
One of the violations of the taxes-for-revenue-only principle is the tax expenditure, that is, expenses written off an individual or corporation's tax report as being allowable business deductions, and thus untaxed. A free pamphlet from the staff of the Joint Committee on Taxation tells us the "tax expenditure estimates measures the decrease in tax liabilities . . . that provide economic incentives . . . or tax relief…." In other words, taxes are being used to provide incentives for business, an obvious social goal.
To those who believe that the funds lost are minor, think again. For the fiscal year, which began October 1, 1985, the lost tax revenue to such expenditures totaled $424.5 billion.
Many alert citizens know that the loss in collections through cheating, in federal taxes of all kinds, is about $100 billion per year. Probably, most people suppose, validly, that the principal cause is the perception
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