Bill
Bill > S3234
NJ S3234
Allows deduction from tax of certain expenses when taxpayer's federal paycheck protection program loan is forgiven and excludes those forgiven loans from gross income tax.
summary
Introduced
12/07/2020
12/07/2020
In Committee
02/24/2021
02/24/2021
Crossed Over
03/01/2021
03/01/2021
Passed
03/25/2021
03/25/2021
Dead
Signed/Enacted/Adopted
05/11/2021
05/11/2021
Introduced Session
2020-2021 Regular Session
Bill Summary
The bill ensures that forgiven paycheck protection program loans will not be subject to the State's gross income tax. This bill also allows the deduction of expenses paid for by a paycheck protection program loan even if the loan is forgiven. The paycheck protection program (PPP) was established by the "Coronavirus Aid, Relief, and Economic Security Act" or "CARES Act," a federal law enacted in response to the economic impact of the COVID-19 pandemic. The PPP offers loans to small businesses as an incentive to keep employees on their payroll during the pandemic. Some or all of the loan may be forgiven if certain conditions are met. Federal law generally considers forgiven loans to be taxable income, but the CARES Act excluded forgiven PPP loans from federal income tax. For businesses subject to the State's corporation business tax, a forgiven PPP loan would not be taxed by the State because the corporation business tax generally follows federal treatment of income. For pass-through businesses, which generally do not independently pay tax, the income of the business gets passed along to the business owners who then pay tax on the income under the State's gross income tax. Forgiven loans of those businesses may be subject to tax when the business's income is passed-through to business owners. To ensure that forgiven PPP loans are not ultimately taxed, this bill explicitly excludes such forgiven loans from the State's gross income tax. The bill also allows the deduction of expenses paid for by a PPP loan even if the loan is forgiven. Though a forgiven loan is not federally taxable, the IRS issued Notice 2020-32 denying tax deductions for expenses paid with a PPP loan that was later forgiven, claiming that treatment is necessary to prevent taxpayers from receiving a double tax benefit. Because the corporation business tax generally follows federal treatment of income, the IRS ruling flows through to such State taxpayers. This bill eliminates the result of the IRS ruling for corporation business taxpayers and ensures that a similar State ruling cannot be made under the gross income tax. The sponsor of this bill notes that the result of the IRS ruling is the same as if the loan forgiveness was fully taxable. The CARES Act provision excluding a forgiven loan from taxable income becomes moot if IRS Notice 2020-32 is allowed to stand. This bill remedies the issue under the State's taxes by allowing taxpayers to deduct otherwise deductible expenses even if the expenses were paid with a PPP loan that is forgiven and not taxable.
AI Summary
This bill ensures that forgiven Paycheck Protection Program (PPP) loans are not subject to the state's gross income tax. It also allows the deduction of otherwise deductible expenses even if those expenses were paid for with a forgiven PPP loan. The PPP was established by the federal CARES Act to provide loans to small businesses to help them keep employees on their payroll during the COVID-19 pandemic. Some or all of these loans may be forgiven if certain conditions are met. While forgiven PPP loans are generally not subject to federal income tax, the IRS had previously issued a ruling prohibiting the deduction of expenses paid for with a forgiven PPP loan, which would have effectively treated the forgiveness as taxable income. This bill remedies that issue by allowing the deduction of those expenses under the state's corporation business tax and gross income tax.
Committee Categories
Budget and Finance
Sponsors (12)
Daniel Benson (D)*,
Tony Bucco (R)*,
Lou Greenwald (D)*,
Gordon Johnson (D)*,
Ronald Dancer (R),
Linda Greenstein (D),
Jim Holzapfel (R),
Declan O'Scanlon (R),
Steven Oroho (R),
Nellie Pou (D),
Troy Singleton (D),
Valerie Vainieri Huttle (D),
Last Action
Approved P.L.2021, c.90. (on 05/11/2021)
Official Document
bill text
bill summary
Loading...
bill summary
Loading...
bill summary
Loading...