Jump to content

Enterprise Value Tax

From Wikipedia, the free encyclopedia

Enterprise Value Tax was a tax proposal considered by the United States Congress.[1] It passed in the US House of Representatives in 2010 as part of "H.R. 4213: American Jobs and Closing Tax Loopholes Act". The bill was not passed by the Senate, and hence did not become law. Nonetheless the concept of the tax has recurred in succeeding years,[citation needed] most recently as a speculation over Donald Trump's promise to do "something huge".[2]

The tax was opposed as detrimental to entrepreneurs re-investing funds from the sale of businesses. It was described by Richard A. Baker, CEO of the Hudson's Bay Company, as "a stealth attack on capital gains".[3] Conversely the "carried interest tax loophole" was cited as reason to increase taxes on those doing well from the taxation of certain businesses, notably hedge fund managers.[4]

Enterprise value, in this context, has been described as another expression for goodwill.[5]

See also

[edit]

References

[edit]

Notes

  1. ^ Moody, J. Scott. "The Economic Impact of an Enterprise Value Tax" Washington Policy Center (November 2011)
  2. ^ "Getting Away With Murder by Clifford S. Asness, City Journal September 22, 2015". city-journal.org. 23 December 2015.
  3. ^ Baker, Richard A. "A Stealth Attack on Capital Gains" The Wall Street Journal (June 17, 2010)
  4. ^ Delevingne, Lawrence. "Hedge fund managers stung by 'class warfare' rhetoric" CNBC (May 22, 2015)
  5. ^ Judge, Steve. "PEGCC Carried Interest Submission to Senate Finance Committee Individual Income Tax Working Group" Private Equity Growth Capital Council (April 15, 2015)

Further reading

  • Field, Heather M. (February 2014). "The Real Problem with Carried Interests". Hastings Law Journal. 65: 405–441.
[edit]