HB 100-FN-A - AS INTRODUCED

 

 

2023 SESSION

23-0151

02/04

 

HOUSE BILL 100-FN-A

 

AN ACT to repeal the interest and dividends tax.

 

SPONSORS: Rep. Janigian, Rock. 25; Rep. Osborne, Rock. 2; Rep. Weyler, Rock. 14; Rep. L. Sanborn, Hills. 2; Rep. Doucette, Rock. 25; Rep. Harley, Rock. 30; Sen. Abbas, Dist 22

 

COMMITTEE: Ways and Means

 

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ANALYSIS

 

This bill changes the effective date of the repeal of the interest and dividends tax.

 

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Explanation: Matter added to current law appears in bold italics.

Matter removed from current law appears [in brackets and struckthrough.]

Matter which is either (a) all new or (b) repealed and reenacted appears in regular type.

23-0151

02/04

 

STATE OF NEW HAMPSHIRE

 

In the Year of Our Lord Two Thousand Twenty Three

 

AN ACT to repeal the interest and dividends tax.

 

Be it Enacted by the Senate and House of Representatives in General Court convened:

 

1  Returns for Interest and Dividends Taxes; 2027.  Amend 2021, 91:100 to read as follows:

91:100 Returns for Interest and Dividends Taxes; [2027] 2024.  All persons who are liable for a tax under RSA 77 as of December 31, [2026] 2023, who thereafter are no longer liable for a tax under RSA 77 because of the passage of this act shall make a return of such taxes due the commissioner of revenue administration in such manner and on such forms as the commissioner shall prescribe in rules adopted under RSA 541-A.  The administrative provisions of RSA 77 shall remain in effect to permit the audit and collection of taxes upon income taxable under RSA 77 which is received by persons subject to taxation under that chapter through December 31, [2026] 2023, and to permit the distribution of that revenue.  Persons who are liable for a tax under RSA 77 who do not report the payment of federal income taxes on a calendar year basis are entitled to such proportion of the exemptions allowed in RSA 77 as the reporting period bears to their taxable year.

2  Application; Repeal of RSA 77.  Amend 2021, 91:101 to read as follows:

91:101  Application; Repeal of RSA 77.  [Paragraph II of section 99] The repeal of RSA 77 by this act shall apply to taxable periods beginning after December 31, [2026] 2023.

3  Repeals; Interest and Dividends Taxation; Effective Date.  Amend 2021, 91:102, II to read as follows:

II.  Sections 90-100 of this act shall take effect January 1, [2027] 2024.

4  Effective Date.  This act shall take effect upon its passage.

 

LBA

23-0151

11/2/22

 

HB 100-FN-A- FISCAL NOTE

AS INTRODUCED

 

AN ACT to repeal the interest and dividends tax.

 

FISCAL IMPACT:      [ X ] State              [    ] County               [    ] Local              [    ] None

 

 

 

Estimated Increase / (Decrease)

STATE:

FY 2023

FY 2024

FY 2025

FY 2026

   Appropriation

$0

$0

$0

$0

   Revenue

$0

Indeterminable Decrease

Indeterminable Decrease

Indeterminable Decrease

   Expenditures

$0

$0

$0

$0

Funding Source:

  [ X ] General            [    ] Education            [    ] Highway           [    ] Other

 

 

 

 

 

METHODOLOGY:

This bill changes the effective date of the repeal of the Interest and Dividends (I&D) tax from January 1, 2027 to January 1, 2024.  The Department of Revenue Administration states the fiscal impact is indeterminable as the Department is not able to predict future I&D tax liability or credit carryforward amounts.  Based on the following assumptions/information, the Department is able to estimate a possible fiscal impact:

  • the bill is silent on the I&D tax rates as contained in Chapter 91:89, Laws of 2021, for taxable periods ending on or after December 31, 2024 through taxable periods ending on or after December 31, 2026.  In estimating a potential fiscal impact of this bill, the Department is assuming the rates will no longer be in effect if this bill is passed.
  • the starting point for calculating the fiscal impact is the FY 2022 cash basis I&D of $156,400,000.
  • based on a tax year revenue analysis of prior fiscal years, it was determined fiscal year tax revenue is comprised of 5 percent from the tax year 2 years prior, 68 percent is from the tax year 1 year prior and 27 percent from the current tax year  (See table 1 below)
  • applying the 5% tax rate to gross up the FY 2022 cash basis revenue results in a taxable I&D base of $3,128,000,000 to use for the starting point of calculating the fiscal impact.

 

The first table below provides the tax rates and splits.  The second table provides an estimated impact repealing the I&D tax will have on revenue.

 

Table 1. Current Law and Proposed Legislation Rates and Splits

Fiscal Year (FY)

Tax Year (TY)

% Applicable to Tax Year

Current Law I&D Rates

Proposed Law I&D Rates

FY 2024

TY 2022

5%

5.0%

5.0%

TY 2023

68%

4.0%

4.0%

TY 2024

27%

3.0%

0.0%

FY 2025

TY 2023

5%

4.0%

4.0%

TY 2024

68%

3.0%

0.0%

TY 2025

27%

2.0%

0.0%

FY 2026

TY 2024

5%

3.0%

0.0%

TY 2025

68%

2.0%

0.0%

TY 2026

27%

1.0%

0.0%

FY 2027

TY 2025

5%

2.0%

0.0%

TY 2026

68%

1.0%

0.0%

TY 2027

27%

0.0%

0.0%

FY 2028

TY 2026

5%

1.0%

0.0%

TY 2027

68%

0.0%

0.0%

TY 2028

27%

0.0%

0.0%

FY 2029 and forward

TY 2027 and forward

100%

0.0%

0.0%

 

 

Table 2. I&D Repeal Fiscal Impact - Static Analysis

Fiscal Year

FY 2022 Revenues with Current Law

FY 2022 Revenues with Proposed Legislation

Estimated Fiscal Impact Per Year (Proposed Legislation Compared to Current Law)

 

Cumulative Fiscal Impact  (Proposed Legislation Compared to Current Law)

2024

$118,200,000

$92,900,000

($25,300,000)

($25,300,000)

2025

$87,000,000

$6,300,000

($80,700,000)

($106,000,000)

2026

$55,600,000

$0

($55,600,000)

($161,600,000)

2027

$24,400,000

$0

($24,400,000)

($186,000,000)

2028

$1,600,000

$0

($1,600,000)

($187,600,000)

The fiscal impact of the proposed rate reduction as depicted in the above table may be overstated or understated for future years depending on whether actual revenue is more or less than the FY 2022 cash basis revenue.  The estimated fiscal impact does not account for any overpayment/ credit carry forwards on file.  The use of these overpayments would further increase the loss of revenue as taxpayers would apply the overpayments to any I&D tax liability.

 

The Department would need to update all necessary tax return forms and electronic management systems to reflect the accelerated repeal of the I&D tax; however, it is not anticipated this will result in any additional administrative costs that could not be absorbed in the Department's operating budget.

 

 

AGENCIES CONTACTED:

Department of Revenue Administration