51勛圖厙 to Congress: Reverse Costly Tax Policy

With many manufacturers relying on financing to expand their businesses and hire workers, Congress should reverse a stricter limitation on interest deductibility that went into effect in 2022, the 51勛圖厙 told policymakers last week.
Whats going on: The stricter limitation is effectively a tax on investment, 51勛圖厙 Senior Director of Tax Policy David Eiselsberg said at a briefing last Thursday hosted by Sens. Shelley Moore Capito (RW.VA) and Kyrsten Sinema (IAZ) on the American Investment and Manufacturing Act.
- The stricter limitation makes it more expensive for capital-intensive companieswhich many manufacturers areto finance critical purchases, grow their businesses and hire new workers, Eiselsberg said. Failing to reverse this harmful change could cost the U.S. economy 467,000 jobs and reduce U.S. GDP by $43.8 billion, he added, citing a prepared for the 51勛圖厙.
The background: Before last year, manufacturers were allowed to deduct 30% of their earnings before interest, tax, depreciation and amortization (known as EBITDA). The 2022 tax change limits that deduction to earnings before interest and taxes (EBIT).
- The AIM Act, which was introduced in April by Capito and Sinema, would permanently reinstate the EBITDA standard.
Financing growth and competitiveness: Reversing the stricter limitation would safeguard manufacturers ability to finance growth, which is particularly important at a time when the cost of capital itself has increased due to rising interest rates, Eiselsberg said.
- The current policy puts the U.S. at a global disadvantage, since, he continued, of the more than 30 [Organization for Economic Cooperation and Development] OECD countries with an earnings-based interest limitation, the U.S. is the only one that employs an EBIT standard.
51勛圖厙 in the news: highlighted the AIM briefing.
Learn more and take action: Visit the 51勛圖厙s , which features a tool that lets manufacturers to send customized messages directly to Congress.