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F I S C A L I M P A C T R E P O R T
SPONSOR: Robinson
DATE TYPED: 2/22/05
HB
SHORT TITLE: Income Tax Deduction for Business Sale
SB 549
ANALYST: Taylor
REVENUE
Estimated Revenue
Subsequent
Years Impact
Recurring
or Non-Rec
Fund
Affected
FY05
FY06
($875) ($1,600.0)
($1,220.0) Recurring
General Fund
(Parenthesis ( ) Indicate Revenue Decreases)
SOURCES OF INFORMATION
LFC Files
Responses Received From
Taxation and Revenue Department
SUMMARY
Senate Bill 549 would provide an income tax deduction for net capital gains income from the
sale of a closely held trade or business. The size of the deduction is equal to the taxpayer’s net
capital gain from the sale of a closely held trade or business in the taxable year for which the de-
duction is being claimed, provided that the gain is included in the taxpayer’s base income.
A closely held trade or business is defined to mean a trade or business operated as a sole proprie-
torship or a corporation, partnership, limited partnership, limited liability company or other legal
entity, whose equity is controlled by 75 or few qualifying owners.
The bill carries no applicability date, and is assumed to become effective 90 days after the end of
the legislative session.
FISCAL IMPLICATIONS
TRD estimates that this bill will reduce general fund revenues by $1.6 million in FY06. The es-
timate assumes net capital gains in New Mexico will total approximately $1.5 billion annually,
and further estimated that of 3.4 percent of this was this, or $50 million was from the sale of
closely held businesses. They report that the 3.4% is drawn from I.R.S. data on the share that
small business interests represent in the composition of assets in estate tax returns. They also