History of the U.S. Tax System
According to the U.S. Treasury
The federal, state, and local tax systems in the United States have been
marked by significant changes over the years in response to changing
circumstances and changes in the role of government. The types of taxes
collected, their relative proportions, and the magnitudes of the revenues
collected are all far different than they were 50 or 100 years ago. Some of
these changes are traceable to specific historical events, such as a war or the
passage of the 16th Amendment to the Constitution that granted the Congress the
power to levy a tax on personal income. Other changes were more gradual,
responding to changes in society, in our economy, and in the roles and
responsibilities that government has taken unto itself.
Colonial Times
For most of our nation's history, individual taxpayers rarely had any
significant contact with Federal tax authorities as most of the Federal
government's tax revenues were derived from excise taxes, tariffs, and customs
duties. Before the Revolutionary War, the colonial government had only a limited
need for revenue, while each of the colonies had greater responsibilities and
thus greater revenue needs, which they met with different types of taxes. For
example, the southern colonies primarily taxed imports and exports, the middle
colonies at times imposed a property tax and a "head" or poll tax levied on each
adult male, and the New England colonies raised revenue primarily through
general real estate taxes, excises taxes, and taxes based on occupation.
England's need for revenues to pay for its wars against France led it to
impose a series of taxes on the American colonies. In 1765, the English
Parliament passed the Stamp Act, which was the first tax imposed directly on the
American colonies, and then Parliament imposed a tax on tea. Even though
colonists were forced to pay these taxes, they lacked representation in the
English Parliament. This led to the rallying cry of the American Revolution that
"taxation without representation is tyranny" and established a persistent
wariness regarding taxation as part of the American culture.
The Post Revolutionary Era
The Articles of Confederation, adopted in 1781, reflected the American fear
of a strong central government and so retained much of the political power in
the States. The national government had few responsibilities and no nationwide
tax system, relying on donations from the States for its revenue. Under the
Articles, each State was a sovereign entity and could levy tax as it
pleased.
When the Constitution was adopted in 1789, the Founding Fathers recognized
that no government could function if it relied entirely on other governments for
its resources, thus the Federal Government was granted the authority to raise
taxes. The Constitution endowed the Congress with the power to "…lay and collect
taxes, duties, imposts, and excises, pay the Debts and provide for the common
Defense and general Welfare of the United States." Ever on guard against the
power of the central government to eclipse that of the states, the collection of
the taxes was left as the responsibility of the State governments.
To pay the debts of the Revolutionary War, Congress levied excise taxes on
distilled spirits, tobacco and snuff, refined sugar, carriages, property sold at
auctions, and various legal documents. Even in the early days of the Republic,
however, social purposes influenced what was taxed. For example, Pennsylvania
imposed an excise tax on liquor sales partly "to restrain persons in low
circumstances from an immoderate use thereof." Additional support for such a
targeted tax came from property owners, who hoped thereby to keep their property
tax rates low, providing an early example of the political tensions often
underlying tax policy decisions.
Though social policies sometimes governed the course of tax policy even in
the early days of the Republic, the nature of these policies did not extend
either to the collection of taxes so as to equalize incomes and wealth, or for
the purpose of redistributing income or wealth. As Thomas Jefferson once wrote
regarding the "general Welfare" clause:
To take from one, because it is thought his own industry and that of
his father has acquired too much, in order to spare to others who (or whose
fathers) have not exercised equal industry and skill, is to violate arbitrarily
the first principle of association, "to guarantee to everyone a free exercise of
his industry and the fruits acquired by it."
With the establishment of the new nation, the citizens of the various
colonies now had proper democratic representation, yet many Americans still
opposed and resisted taxes they deemed unfair or improper. In 1794, a group of
farmers in southwestern Pennsylvania physically opposed the tax on whiskey,
forcing President Washington to send Federal troops to suppress the Whiskey
Rebellion, establishing the important precedent that the Federal government was
determined to enforce its revenue laws. The Whiskey Rebellion also confirmed,
however, that the resistance to unfair or high taxes that led to the Declaration
of Independence did not evaporate with the forming of a new, representative
government.
During the confrontation with France in the late 1790's, the Federal
Government imposed the first direct taxes on the owners of houses, land, slaves,
and estates. These taxes are called direct taxes because they are a recurring
tax paid directly by the taxpayer to the government based on the value of the
item that is the basis for the tax. The issue of direct taxes as opposed to
indirect taxes played a crucial role in the evolution of Federal tax policy in
the following years. When Thomas Jefferson was elected President in 1802, direct
taxes were abolished and for the next 10 years there were no internal revenue
taxes other than excises.
To raise money for the War of 1812, Congress imposed additional excise taxes,
raised certain customs duties, and raised money by issuing Treasury notes. In
1817 Congress repealed these taxes, and for the next 44 years the Federal
Government collected no internal revenue. Instead, the Government received most
of its revenue from high customs duties and through the sale of public land.
The Civil War
When the Civil War erupted, the Congress passed the Revenue Act of 1861,
which restored earlier excises taxes and imposed a tax on personal incomes. The
income tax was levied at 3 percent on all incomes higher than $800 a year. This
tax on personal income was a new direction for a Federal tax system based mainly
on excise taxes and customs duties. Certain inadequacies of the income tax were
quickly acknowledged by Congress and thus none was collected until the following
year.
By the spring of 1862 it was clear the war would not end quickly and with the
Union's debt growing at the rate of $2 million daily it was equally clear the
Federal government would need additional revenues. On July 1, 1862 the Congress
passed new excise taxes on such items as playing cards, gunpowder, feathers,
telegrams, iron, leather, pianos, yachts, billiard tables, drugs, patent
medicines, and whiskey. Many legal documents were also taxed and license fees
were collected for almost all professions and trades.
The 1862 law also made important reforms to the Federal income tax that
presaged important features of the current tax. For example, a two-tiered rate
structure was enacted, with taxable incomes up to $10,000 taxed at a 3 percent
rate and higher incomes taxed at 5 percent. A standard deduction of $600 was
enacted and a variety of deductions were permitted for such things as rental
housing, repairs, losses, and other taxes paid. In addition, to assure timely
collection, taxes were "withheld at the source" by employers.
The need for Federal revenue declined sharply after the war and most taxes
were repealed. By 1868, the main source of Government revenue derived from
liquor and tobacco taxes. The income tax was abolished in 1872. From 1868 to
1913, almost 90 percent of all revenue was collected from the remaining
excises.
The 16th Amendment
Under the Constitution, Congress could impose direct taxes only if they were
levied in proportion to each State's population. Thus, when a flat rate Federal
income tax was enacted in 1894, it was quickly challenged and in 1895 the U.S.
Supreme Court ruled it unconstitutional because it was a direct tax not
apportioned according to the population of each state.
Lacking the revenue from an income tax and with all other forms of internal
taxes facing stiff resistance, from 1896 until 1910 the Federal government
relied heavily on high tariffs for its revenues. The War Revenue Act of 1899
sought to raise funds for the Spanish-American War through the sale of bonds,
taxes on recreational facilities used by workers, and doubled taxes on beer and
tobacco. A tax was even imposed on chewing gum. The Act expired in 1902, so that
Federal receipts fell from 1.7 percent of Gross Domestic Product to 1.3
percent.
While the War Revenue Act returned to traditional revenue sources following
the Supreme Court's 1895 ruling on the income tax, debate on alternative revenue
sources remained lively. The nation was becoming increasingly aware that high
tariffs and excise taxes were not sound economic policy and often fell
disproportionately on the less affluent. Proposals to reinstate the income tax
were introduced by Congressmen from agricultural areas whose constituents feared
a Federal tax on property, especially on land, as a replacement for the
excises.
Eventually, the income tax debate pitted southern and western Members of
Congress representing more agricultural and rural areas against the industrial
northeast. The debate resulted in an agreement calling for a tax, called an
excise tax, to be imposed on business income, and a Constitutional amendment to
allow the Federal government to impose tax on individuals' lawful incomes
without regard to the population of each State.
By 1913, 36 States had ratified the 16th Amendment to the Constitution. In
October, Congress passed a new income tax law with rates beginning at 1 percent
and rising to 7 percent for taxpayers with income in excess of $500,000. Less
than 1 percent of the population paid income tax at the time. Form 1040 was
introduced as the standard tax reporting form and, though changed in many ways
over the years, remains in use today.
One of the problems with the new income tax law was how to define "lawful"
income. Congress addressed this problem by amending the law in 1916 by deleting
the word "lawful" from the definition of income. As a result, all income became
subject to tax, even if it was earned by illegal means. Several years later, the
Supreme Court declared the Fifth Amendment could not be used by bootleggers and
others who earned income through illegal activities to avoid paying taxes.
Consequently, many who broke various laws associated with illegal activities and
were able to escape justice for these crimes were incarcerated on tax evasion
charges.
Prior to the enactment of the income tax, most citizens were able to pursue
their private economic affairs without the direct knowledge of the government.
Individuals earned their wages, businesses earned their profits, and wealth was
accumulated and dispensed with little or no interaction with government
entities. The income tax fundamentally changed this relationship, giving the
government the right and the need to know about all manner of an individual or
business' economic life. Congress recognized the inherent invasiveness of the
income tax into the taxpayer's personal affairs and so in 1916 it provided
citizens with some degree of protection by requiring that information from tax
returns be kept confidential.
World War I and the 1920's
The entry of the United States into World War I greatly increased the need
for revenue and Congress responded by passing the 1916 Revenue Act. The 1916 Act
raised the lowest tax rate from 1 percent to 2 percent and raised the top rate
to 15 percent on taxpayers with incomes in excess of $1.5 million. The 1916 Act
also imposed taxes on estates and excess business profits.
Driven by the war and largely funded by the new income tax, by 1917 the
Federal budget was almost equal to the total budget for all the years between
1791 and 1916. Needing still more tax revenue, the War Revenue Act of 1917
lowered exemptions and greatly increased tax rates. In 1916, a taxpayer needed
$1.5 million in taxable income to face a 15 percent rate. By 1917 a taxpayer
with only $40,000 faced a 16 percent rate and the individual with $1.5 million
faced a tax rate of 67 percent.
Another revenue act was passed in 1918, which hiked tax rates once again,
this time raising the bottom rate to 6 percent and the top rate to 77 percent.
These changes increased revenue from $761 million in 1916 to $3.6 billion in
1918, which represented about 25 percent of Gross Domestic Product (GDP). Even
in 1918, however, only 5 percent of the population paid income taxes and yet the
income tax funded one-third of the cost of the war.
The economy boomed during the 1920s and increasing revenues from the income
tax followed. This allowed Congress to cut taxes five times, ultimately
returning the bottom tax rate to 1 percent and the top rate down to 25 percent
and reducing the Federal tax burden as a share of GDP to 13 percent. As tax
rates and tax collections declined, the economy was strengthened further.
In October of 1929 the stock market crash marked the beginning of the Great
Depression. As the economy shrank, government receipts also fell. In 1932, the
Federal government collected only $1.9 billion, compared to $6.6 billion in
1920. In the face of rising budget deficits which reached $2.7 billion in 1931,
Congress followed the prevailing economic wisdom at the time and passed the Tax
Act of 1932 which dramatically increased tax rates once again. This was followed
by another tax increase in 1936 that further improved the government's finances
while further weakening the economy. By 1936 the lowest tax rate had reached 4
percent and the top rate was up to 79 percent. In 1939, Congress systematically
codified the tax laws so that all subsequent tax legislation until 1954 amended
this basic code. The combination of a shrunken economy and the repeated tax
increases raised the Federal government's tax burden to 6.8 percent of GDP by
1940.
b>The Social Security Tax
The state of the economy during the Great Depression led to passage of the
Social Security Act in 1935. This law provided payments known as "unemployment
compensation" to workers who lost their jobs. Other sections of the Act gave
public aid to the aged, the needy, the handicapped, and to certain minors. These
programs were financed by a 2 percent tax, one half of which was subtracted
directly from an employee's paycheck and one half collected from employers on
the employee's behalf. The tax was levied on the first $3,000 of the employee's
salary or wage.
World War II
Even before the United States entered the Second World War, increasing
defense spending and the need for monies to support the opponents of Axis
aggression led to the passage in 1940 of two tax laws that increased individual
and corporate taxes, which were followed by another tax hike in 1941. By the end
of the war the nature of the income tax had been fundamentally altered.
Reductions in exemption levels meant that taxpayers with taxable incomes of only
$500 faced a bottom tax rate of 23 percent, while taxpayers with incomes over $1
million faced a top rate of 94 percent. These tax changes increased federal
receipts from $8.7 billion in 1941 to $45.2 billion in 1945. Even with an
economy stimulated by war-time production, federal taxes as a share of GDP grew
from 7.6 percent in 1941 to 20.4 percent in 1945. Beyond the rates and revenues,
however, another aspect about the income tax that changed was the increase in
the number of income taxpayers from 4 million in 1939 to 43 million in 1945.
Another important feature of the income tax that changed was the return to
income tax withholding as had been done during the Civil War. This greatly eased
the collection of the tax for both the taxpayer and the Bureau of Internal
Revenue. However, it also greatly reduced the taxpayer's awareness of the amount
of tax being collected, i.e. it reduced the transparency of the tax, which made
it easier to raise taxes in the future.
Developments after World War II
Tax cuts following the war reduced the Federal tax burden as a share of GDP
from its wartime high of 20.9 percent in 1944 to 14.4 percent in 1950. However,
the Korean War created a need for additional revenues which, combined with the
extension of Social Security coverage to self-employed persons, meant that by
1952 the tax burden had returned to 19.0 percent of GDP.
In 1953 the Bureau of Internal Revenue was renamed the Internal Revenue
Service (IRS), following a reorganization of its function. The new name was
chosen to stress the service aspect of its work. By 1959, the IRS had become the
world's largest accounting, collection, and forms-processing organization.
Computers were introduced to automate and streamline its work and to improve
service to taxpayers. In 1961, Congress passed a law requiring individual
taxpayers to use their Social Security number as a means of tax form
identification. By 1967, all business and personal tax returns were handled by
computer systems, and by the late 1960s, the IRS had developed a computerized
method for selecting tax returns to be examined. This made the selection of
returns for audit fairer to the taxpayer and allowed the IRS to focus its audit
resources on those returns most likely to require an audit.
Throughout the 1950s tax policy was increasingly seen as a tool for raising
revenue and for changing the incentives in the economy, but also as a tool for
stabilizing macroeconomic activity. The economy remained subject to frequent
boom and bust cycles and many policymakers readily accepted the new economic
policy of raising or lowering taxes and spending to adjust aggregate demand and
thereby smooth the business cycle. Even so, however, the maximum tax rate in
1954 remained at 87 percent of taxable income. While the income tax underwent
some manner of revision or amendment almost every year since the major
reorganization of 1954, certain years marked especially significant changes. For
example, the Tax Reform Act of 1969 reduced income tax rates for individuals and
private foundations.
Beginning in the late 1960s and continuing through the 1970s the United
States experienced persistent and rising inflation rates, ultimately reaching
13.3 percent in 1979. Inflation has a deleterious effect on many aspects of an
economy, but it also can play havoc with an income tax system unless appropriate
precautions are taken. Specifically, unless the tax system's parameters, i.e.
its brackets and its fixed exemptions, deductions, and credits, are indexed for
inflation, a rising price level will steadily shift taxpayers into ever higher
tax brackets by reducing the value of those exemptions and deductions.
During this time, the income tax was not indexed for inflation and so, driven
by a rising inflation, and despite repeated legislated tax cuts, the tax burden
rose from 19.4 percent of GDP to 20.8 percent of GDP. Combined with high
marginal tax rates, rising inflation, and a heavy regulatory burden, this high
tax burden caused the economy to under-perform badly, all of which laid the
groundwork for the Reagan tax cut, also known as the Economic Recovery Tax Act
of 1981.
The Reagan Tax Cut
The Economic Recovery Tax Act of 1981, which enjoyed strong bi-partisan
support in the Congress, represented a fundamental shift in the course of
federal income tax policy. Championed in principle for many years by
then-Congressman Jack Kemp (R-NY) and then-Senator Bill Roth (R- DE), it
featured a 25 percent reduction in individual tax brackets, phased in over 3
years, and indexed for inflation thereafter. This brought the top tax bracket
down to 50 percent.
The 1981 Act also featured a dramatic departure in the treatment of business
outlays for plant and equipment, i.e. capital cost recovery, or tax
depreciation. Heretofore, capital cost recovery had attempted roughly to follow
a concept known as economic depreciation, which refers to the decline in the
market value of a producing asset over a specified period of time. The 1981 Act
explicitly displaced the notion of economic depreciation, instituting instead
the Accelerated Cost Recovery System which greatly reduced the disincentive
facing business investment and ultimately prepared the way for the subsequent
boom in capital formation. In addition to accelerated cost recovery, the 1981
Act also instituted a 10 percent Investment Tax Credit to spur additional
capital formation.
Prior to, and in many circles even after the 1981 tax cut, the prevailing
view was that tax policy is most effective in modulating aggregate demand
whenever demand and supply become mismatched, i.e. whenever the economy went in
to recession or became "over-heated". The 1981 tax cut represented a new way of
looking at tax policy, though it was in fact a return to a more traditional, or
neoclassical, economic perspective. The essential idea was that taxes have their
first and primary effect on the economic incentives facing individuals and
businesses. Thus, the tax rate on the last dollar earned, i.e. the marginal
dollar, is much more important to economic activity than the tax rate facing the
first dollar earned or than the average tax rate. By reducing marginal tax rates
it was believed the natural forces of economic growth would be less restrained.
The most productive individuals would then shift more of their energies to
productive activities rather than leisure and businesses would take advantage of
many more now profitable opportunities. It was also thought that reducing
marginal tax rates would significantly expand the tax base as individuals
shifted more of their income and activities into taxable forms and out of
tax-exempt forms.
The 1981 tax cut actually represented two departures from previous tax policy
philosophies, one explicit and intended and the second by implication. The first
change was the new focus on marginal tax rates and incentives as the key factors
in how the tax system affects economic activity. The second policy departure was
the de facto shift away from income taxation and toward taxing consumption.
Accelerated cost recovery was one manifestation of this shift on the business
side, but the individual side also saw a significant shift in the enactment of
various provisions to reduce the multiple taxation of individual saving. The
Individual Retirement Account, for example, was enacted in 1981.
Simultaneously with the enactment of the tax cuts in 1981 the Federal Reserve
Board, with the full support of the Reagan Administration, altered monetary
policy so as to bring inflation under control. The Federal Reserve's actions
brought inflation down faster and further than was anticipated at the time, and
one consequence was that the economy fell into a deep recession in 1982. Another
consequence of the collapse in inflation was that federal spending levels, which
had been predicated on a higher level of expected inflation, were suddenly much
higher in inflation-adjusted terms. The combination of the tax cuts, the
recession, and the one-time increase in inflation-adjusted federal spending
produced historically high budget deficits which, in turn, led to a tax increase
in 1984 that pared back some of the tax cuts enacted in 1981, especially on the
business side.
As inflation came down and as more and more of the tax cuts from the 1981 Act
went into effect, the economic began a strong and sustained pattern of growth.
Though the painful medicine of disinflation slowed and initially hid the
process, the beneficial effects of marginal rate cuts and reductions in the
disincentives to invest took hold as promised.
The Evolution of Social Security and Medicare
The Social Security system remained essentially unchanged from its enactment
until 1956. However, beginning in 1956 Social Security began an almost steady
evolution as more and more benefits were added, beginning with the addition of
Disability Insurance benefits. In 1958, benefits were extended to dependents of
disabled workers. In 1967, disability benefits were extended to widows and
widowers. The 1972 amendments provided for automatic cost-of-living
benefits.
In 1965, Congress enacted the Medicare program, providing for the medical
needs of persons aged 65 or older, regardless of income. The 1965 Social
Security Amendments also created the Medicaid programs, which provides medical
assistance for persons with low incomes and resources.
Of course, the expansions of Social Security and the creation of Medicare and
Medicaid required additional tax revenues, and thus the basic payroll tax was
repeatedly increased over the years. Between 1949 and 1962 the payroll tax rate
climbed steadily from its initial rate of 2 percent to 6 percent. The expansions
in 1965 led to further rate increases, with the combined payroll tax rate
climbing to 12.3 percent in 1980. Thus, in 31 years the maximum Social Security
tax burden rose from a mere $60 in 1949 to $3,175 in 1980.
Despite the increased payroll tax burden, the benefit expansions Congress
enacted in previous years led the Social Security program to an acute funding
crises in the early 1980s. Eventually, Congress legislated some minor
programmatic changes in Social Security benefits, along with an increase in the
payroll tax rate to 15.3 percent by 1990. Between 1980 and 1990, the maximum
Social Security payroll tax burden more than doubled to $7,849.
The Tax Reform Act of 1986
Following the enactment of the 1981, 1982, and 1984 tax changes there was a
growing sense that the income tax was in need of a more fundamental overhaul.
The economic boom following the 1982 recession convinced many political leaders
of both parties that lower marginal tax rates were essential to a strong
economy, while the constant changing of the law instilled in policy makers an
appreciation for the complexity of the tax system. Further, the debates during
this period led to a general understanding of the distortions imposed on the
economy, and the lost jobs and wages, arising from the many peculiarities in the
definition of the tax base. A new and broadly held philosophy of tax policy
developed that the income tax would be greatly improved by repealing these
various special provisions and lowering tax rates further. Thus, in his 1984
State of the Union speech President Reagan called for a sweeping reform of the
income tax so it would have a broader base and lower rates and would be fairer,
simpler, and more consistent with economic efficiency.
The culmination of this effort was the Tax Reform Act of 1986, which brought
the top statutory tax rate down from 50 percent to 28 percent while the
corporate tax rate was reduced from 50 percent to 35 percent. The number of tax
brackets was reduced and the personal exemption and standard deduction amounts
were increased and indexed for inflation, thereby relieving millions of
taxpayers of any Federal income tax burden. However, the Act also created new
personal and corporate Alternative Minimum Taxes, which proved to be overly
complicated, unnecessary, and economically harmful.
The 1986 Tax Reform Act was roughly revenue neutral, that is, it was not
intended to raise or lower taxes, but it shifted some of the tax burden from
individuals to businesses. Much of the increase in the tax on business was the
result of an increase in the tax on business capital formation. It achieved some
simplifications for individuals through the elimination of such things as income
averaging, the deduction for consumer interest, and the deduction for state and
local sales taxes. But in many respects the Act greatly added to the complexity
of business taxation, especially in the area of international taxation. Some of
the over-reaching provisions of the Act also led to a downturn in the real
estate markets which played a significant role in the subsequent collapse of the
Savings and Loan industry.
Seen in a broader picture, the 1986 tax act represented the penultimate
installment of an extraordinary process of tax rate reductions. Over the 22 year
period from 1964 to 1986 the top individual tax rate was reduced from 91 to 28
percent. However, because upper-income taxpayers increasingly chose to receive
their income in taxable form, and because of the broadening of the tax base, the
progressivity of the tax system actually rose during this period.
The 1986 tax act also represented a temporary reversal in the evolution of
the tax system. Though called an income tax, the Federal tax system had for many
years actually been a hybrid income and consumption tax, with the balance
shifting toward or away from a consumption tax with many of the major tax acts.
The 1986 tax act shifted the balance once again toward the income tax. Of
greatest importance in this regard was the return to references to economic
depreciation in the formulation of the capital cost recovery system and the
significant new restrictions on the use of Individual Retirement Accounts.
Between 1986 and 1990 the Federal tax burden rose as a share of GDP from 17.5
to 18 percent. Despite this increase in the overall tax burden, persistent
budget deficits due to even higher levels of government spending created near
constant pressure to increase taxes. Thus, in 1990 the Congress enacted a
significant tax increase featuring an increase in the top tax rate to 31
percent. Shortly after his election, President Clinton insisted on and the
Congress enacted a second major tax increase in 1993 in which the top tax rate
was raised to 36 percent and a 10 percent surcharge was added, leaving the
effective top tax rate at 39.6 percent. Clearly, the trend toward lower marginal
tax rates had been reversed, but, as it turns out, only temporarily.
The Taxpayer Relief Act of 1997 made additional changes to the tax code
providing a modest tax cut. The centerpiece of the 1997 Act was a significant
new tax benefit to certain families with children through the Per Child Tax
credit. The truly significant feature of this tax relief, however, was that the
credit was refundable for many lower-income families. That is, in many cases the
family paid a "negative" income tax, or received a credit in excess of their
pre-credit tax liability. Though the tax system had provided for individual tax
credits before, such as the Earned Income Tax credit, the Per Child Tax credit
began a new trend in federal tax policy. Previously tax relief was generally
given in the form of lower tax rates or increased deductions or exemptions. The
1997 Act really launched the modern proliferation of individual tax credits and
especially refundable credits that are in essence spending programs operating
through the tax system.
The years immediately following the 1993 tax increase also saw another trend
continue, which was to once again shift the balance of the hybrid income
tax-consumption tax toward the consumption tax. The movement in this case was
entirely on the individual side in the form of a proliferation of tax vehicles
to promote purpose-specific saving. For example, Medical Savings Accounts were
enacted to facilitate saving for medical expenses. An Education IRA and the
Section 529 Qualified Tuition Program was enacted to help taxpayers pay for
future education expenses. In addition, a new form of saving vehicle was
enacted, called the Roth IRA, which differed from other retirement savings
vehicles like the traditional IRA and employer-based 401(k) plans in that
contributions were made in after-tax dollars and distributions were tax free.
Despite the higher tax rates, other economic fundamentals such as low
inflation and low interest rates, an improved international picture with the
collapse of the Soviet Union, and the advent of a qualitatively and
quantitatively new information technologies led to a strong economic performance
throughout the 1990s. This, in turn, led to an extraordinary increase in the
aggregate tax burden, with Federal taxes as a share of GDP reaching a postwar
high of 20.8 percent in 2000.
The Bush Tax Cut
By 2001, the total tax take had produced a projected unified budget surplus
of $281 billion, with a cumulative 10 year projected surplus of $5.6 trillion.
Much of this surplus reflected a rising tax burden as a share of GDP due to the
interaction of rising real incomes and a progressive tax rate structure.
Consequently, under President George W. Bush's leadership the Congress halted
the projected future increases in the tax burden by passing the Economic Growth
and Tax Relief and Reconciliation Act of 2001. The centerpiece of the 2001 tax
cut was to regain some of the ground lost in the 1990s in terms of lower
marginal tax rates. Though the rate reductions are to be phased in over many
years, ultimately the top tax rate will fall from 39.6 percent to 33
percent.
The 2001 tax cut represented a resumption of a number of other trends in tax
policy. For example, it expanded the Per Child Tax credit from $500 to $1000 per
child. It also increased the Dependent Child Tax credit. The 2001 tax cut also
continued the move toward a consumption tax by expanding a variety of savings
incentives. Another feature of the 2001 tax cut that is particularly noteworthy
is that it put the estate, gift, and generation-skipping taxes on course for
eventual repeal, which is also another step toward a consumption tax. One novel
feature of the 2001 tax cut compared to most large tax bills is that it was
almost devoid of business tax provisions.
The 2001 tax cut will provide additional strength to the economy in the
coming years as more and more of its provisions are phased in, and indeed one
argument for its enactment had always been as a form of insurance against an
economic downturn. However, unbeknownst to the Bush Administration and the
Congress, the economy was already in a downturn as the Act was being debated.
Thankfully, the downturn was brief and shallow, but it is already clear that the
tax cuts that were enacted and went into effect in 2001 played a significant
role in supporting the economy, shortening the duration of the downturn, and
preparing the economy for a robust recovery.
One lesson from the economic slowdown was the danger of ever taking a strong
economy for granted. The strong growth of the 1990s led to talk of a "new"
economy that many assumed was virtually recession proof. The popularity of this
assumption was easy to understand when one considers that there had only been
one very mild recession in the previous 18 years.
Taking this lesson to heart, and despite the increasing benefits of the 2001
tax cut and the early signs of a recovery, President Bush called for and the
Congress eventually enacted an economic stimulus bill. The bill included an
extension of unemployment benefits to assist those workers and families under
financial stress due to the downturn. The bill also included a provision to
providing a temporary but significant acceleration of depreciation allowances
for business investment, thereby assuring that the recovery and expansion will
be strong and balanced. Interestingly, the depreciation provision also means
that the Federal tax on business has resumed its evolution toward a consumption
tax, once again paralleling the trend in individual taxation.
Now the real question is, can you believe the U.S. Treasry is telling the truth?