Payroll Credits Should Apply to State Governments, NCSL Says
Payroll Credits Should Apply to State Governments, NCSL Says
- Institutional AuthorsNational Conference of State LegislaturesUnited States Conference of MayorsCouncil of State GovernmentsGovernment Finance Officers AssociationNational Association of CountiesInternational City-County Management AssociationNational League of Cities
- Subject Areas/Tax Topics
- Jurisdictions
- Tax Analysts Document Number2020-11128
- Tax Analysts Electronic Citation2020 TNTG 58-312020 TNTF 58-222020 TNTS 58-292020 EOR 4-43
- Magazine CitationThe Exempt Organization Tax Review, Apr. 2020, p. 23585 Exempt Org. Tax Rev. 235 (2020)
March 21, 2020
The Honorable Nancy Pelosi
Speaker of the House
Washington, DC 20515
The Honorable Kevin McCarthy
House Minority Leader
Washington, DC 20515
The Honorable Mitch McConnell
Senate Majority Leader
Washington, DC 20510
The Honorable Charles Schumer
Senate Minority Leader
Washington, DC 20510
Dear Leader McConnell, Speaker Pelosi, Leader Schumer, and Leader McCarthy,
On behalf of the entities listed above, thank you for your leadership and swift action over the last several weeks to confront both the public health crisis caused by the Coronavirus and COVID-19. However, as you continue to partake in ongoing negotiations to reach final legislation, we urge you to alter language in the Families First Coronavirus Response Act (H.R. 6201) that will have devastating consequences on communities nationwide.
The Families First Coronavirus Response Act creates substantial new sick leave and family medical leave requirements on government employers of all sizes. We are concerned with Sections 7001 (Payroll Credit for Required Paid Sick Leave) and 7003 (Payroll Credit for Required Paid Family Leave), which provide credits against payroll taxes to offset the cost of these mandates for only some employers.
Notably, H.R. 6201 requires state, local governments and their political subdivisions and instrumentalities to provide paid sick leave, while the bill expressly prohibits these governmental entities from receiving the tax credits. State and local governments pay payroll taxes and therefore should not have been excluded from this provision with an expressed carve out. At a time when state and local budgets are already experiencing severe economic stress, excluding state and localities and their political subdivisions would create a new costly unfunded mandate without any federal support.
We strongly urge you in the next funding bill, to first, insert a provision that strikes Sections 7001(e)(4) and 7003(e)(4) from HR 6201; and second, have Congress clarify that state and local government employers, including those exempt from 26 USC 3111, fully qualify for both the Section 7001 and 7003 credits.
Sincerely,
National Conference of State Legislatures
The Council of State Governments
National Association of Counties
National League of Cities
The United States Conference of Mayors
Government Finance Officers Association
International City/County Management Association
- Institutional AuthorsNational Conference of State LegislaturesUnited States Conference of MayorsCouncil of State GovernmentsGovernment Finance Officers AssociationNational Association of CountiesInternational City-County Management AssociationNational League of Cities
- Subject Areas/Tax Topics
- Jurisdictions
- Tax Analysts Document Number2020-11128
- Tax Analysts Electronic Citation2020 TNTG 58-312020 TNTF 58-222020 TNTS 58-292020 EOR 4-43
- Magazine CitationThe Exempt Organization Tax Review, Apr. 2020, p. 23585 Exempt Org. Tax Rev. 235 (2020)