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F I S C A L I M P A C T R E P O R T





SPONSOR: Eisenstadt DATE TYPED: 3-9-99 HB
SHORT TITLE: Qualified School Bonds Act SB 677/aSFl#1
ANALYST: Taylor


REVENUE



Estimated Revenue
Subsequent

Years Impact

Recurring

or Non-Rec

Fund

Affected

FY99 FY2000
$ (280.0) $ (280.0) $ (280.0) Recurring General Fund

(Parenthesis ( ) Indicate Revenue Decreases)



Duplicates HB737



SOURCES OF INFORMATION



Taxation and Revenue Department (TRD)

State Department of Education (SDE)



SUMMARY



Synopsis of Senate Floor Amendment



The Senate floor amendment to Senate Bill 677, makes clear that the definition of a qualifying school

means a New Mexico state educational institution providing education or training below the post secondary level. The amendment does not alter the fiscal impact of the legislation.



Synopsis of Bill



The stated purpose of the qualified schools bonds act is to implement a state program allowing eligible tax payers to take advantage of available tax credits by expanding the incentives to purchase and hold bonds and thereby increase financing alternatives for modernization and rehabilitation of public school facilities and enhancing teacher training.



The bill would allow eligible New Mexico corporate taxpayers (financial institutions engaged in the business of lending money) to take a tax credit against the state's corporate income tax if they are qualified to claim a federal tax credit for qualified zone activity bonds. The state credit would be equal to the federal tax credit. The credit could only be used against corporate income tax liability in the taxable year.



School districts would be allowed to designate and issue qualified school bonds (which are interest free) provided that:



The Public School Capital Outlay Council would serve as the body empowered to allocate qualified zone academy bonds for qualifying projects. Qualifying schools would be those with at least 35 percent of the student body qualified to receive federally subsidized lunches or schools located in a federal empowerment zone or enterprise community.



FISCAL IMPLICATIONS



The State Department of Education reported that the federal government authorized $4.9 million in qualified zone academy bonds for New Mexico in 1998 and $4.0 million in FY 2000. Based on these numbers and an estimated "applicable federal rate" of 7 percent, the Taxation and Revenue Department estimated that the bonds would result in a $280 thousand federal credit. Since the state credit is equal to the federal credit, the cost to the state would also be $280 thousand if all the eligible credits are used. Given the capital needs of the state's schools, it seems likely that all credits would in fact be used. The fiscal impact does not show variations that may occur due to changes in the federal allocation made to the state as these are unknown.



ADMINISTRATIVE IMPLICATIONS



SDE reports a minimal administrative impact. TRD reports that the legislation would not impose a significant impact on that department.



OTHER SUBSTANTIVE ISSUES



TRD notes that there may be an anti donation problem associated with the legislation because the implied yield on the bonds is substantially higher than on instruments of comparable risk. The high yield is partially the result of a state credit equal to the federal credit even though the state corporate income tax rate is only 20 percent of the federal rate.



BT/gm:njw