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WHEREAS, the United States House of Representatives passed legislation containing major changes to the American tax code on Thursday, November 16, including close to $1.5 trillion in tax cuts, which will result in major changes to the housing market; and
WHEREAS, a major component of this legislation, dubbed the Tax Cuts and Jobs Act, is a drastic slashing of the corporate tax rate from 35 to 20 percent, which will decrease the amount of equity developers will be able to raise for projects making use of the Low-Income Housing Tax Credit (LIHTC), which incentivizes private investment in affordable housing developments; and
WHEREAS, although the House of Representatives' legislation retains the LIHTC tax code structure, it disallows the use of tax-exempt, private activity bonds, which are major components of almost 60 percent of LIHTC developments; and
WHEREAS, the LIHTC's four-percent tax credit can only be utilized if 50 percent or more of the project is funded through private activity bonds, and therefore, the Tax Cuts and Jobs Act's elimination of private activity bonds will have deleterious effects on the four-percent tax credit; and
WHEREAS, created as part of the Tax Reform Act of 1986, the LIHTC is a vital part of almost all new, major affordable housing construction projects in the country, with the U.S. Department of Housing and Urban Development estimating that the LIHTC produced 2,402,484 low-income housing units between 1986 and 2016; and
WHEREAS, the LIHTC is structured so that the Internal Revenue Service allocates LIHTCs to states on a per-capita basis, with states' housing finance agencies' determining which affordable housing project applicants are the most deserving, and the agencies' then transferring the LIHTCs to investors, such as banks, who then raise the necessary equity for the projects; and
WHEREAS, the LIHTC is widely seen as successful initiative, as it allows developers to finance projects while avoiding a large debt burden,...
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