Hawaii 2024 Regular Session

Hawaii House Bill HCR30 Compare Versions

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11 HOUSE OF REPRESENTATIVES H.C.R. NO. 30 THIRTY-SECOND LEGISLATURE, 2024 STATE OF HAWAII HOUSE CONCURRENT RESOLUTION requesting the department of taxation to conduct a study on DISALLOWING the dividends paid deduction for real estate investment trusts.
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33 HOUSE OF REPRESENTATIVES H.C.R. NO. 30
44 THIRTY-SECOND LEGISLATURE, 2024
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3131 RESOLUTION
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3737 requesting the department of taxation to conduct a study on DISALLOWING the dividends paid deduction for real estate investment trusts.
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4343 WHEREAS, real estate investment trusts were established by the federal government to give investors, especially small investors, access to income-producing real estate; and WHEREAS, the Internal Revenue Code allows a dividends paid deduction to the real estate investment trust, thereby allowing the real estate investment trust to not pay tax on income distributed to its shareholders, who would then pay tax on that income; and WHEREAS, existing state law conforms to these provisions but creates an anomaly because a real estate investment trust that does business in Hawaii and pays dividends to shareholders outside the State results in no Hawaii income tax collected, because shareholders pay tax on dividends to the state in which they reside, not where the income was generated; and WHEREAS, while some real estate investment trusts that do business in Hawaii have shareholders who reside in the State, a substantial majority do not; and WHEREAS, real estate investment trusts own more real estate in Hawaii per capita than in any other state; now, therefore, BE IT RESOLVED by the House of Representatives of the Thirty-second Legislature of the State of Hawaii, Regular Session of 2024, the Senate concurring, that the Department of Taxation is requested to conduct a study on the advantages and disadvantages of disallowing the dividends paid deduction for real estate investment trusts; and BE IT FURTHER RESOLVED the study is requested to estimate the change in revenue collected by the State after disallowing the dividends paid deduction, including the impact to the amount of general excise taxes collected from the operation of hotels owned by real estate investment trusts, other corporate income tax deductions that real estate investment trusts could take, and any differences in the levels of maintenance and capital improvements to properties between real estate investment trusts and non-real estate investment trust owners; and BE IT FURTHER RESOLVED that the study consider other states' policies on the dividends paid deduction for real estate investment trusts, and any impacts or effects resulting therefrom; and BE IT FURTHER RESOLVED that the study consider possible exceptions to disallowing the dividends paid deduction on all real estate investment trusts, including but not limited to real estate investment trusts with a majority of their assets in Hawaii and revenue from hotels owned by real estate investment trusts; and BE IT FURTHER RESOLVED that a certified copy of this Concurrent Resolution be transmitted to the Director of Taxation. OFFERED BY: _____________________________ Report Title: Taxation; Real Estate Investment Trusts; Dividends Paid Deduction;
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4545 WHEREAS, real estate investment trusts were established by the federal government to give investors, especially small investors, access to income-producing real estate; and
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4949 WHEREAS, the Internal Revenue Code allows a dividends paid deduction to the real estate investment trust, thereby allowing the real estate investment trust to not pay tax on income distributed to its shareholders, who would then pay tax on that income; and
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5353 WHEREAS, existing state law conforms to these provisions but creates an anomaly because a real estate investment trust that does business in Hawaii and pays dividends to shareholders outside the State results in no Hawaii income tax collected, because shareholders pay tax on dividends to the state in which they reside, not where the income was generated; and
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5757 WHEREAS, while some real estate investment trusts that do business in Hawaii have shareholders who reside in the State, a substantial majority do not; and
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6161 WHEREAS, real estate investment trusts own more real estate in Hawaii per capita than in any other state; now, therefore,
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6565 BE IT RESOLVED by the House of Representatives of the Thirty-second Legislature of the State of Hawaii, Regular Session of 2024, the Senate concurring, that the Department of Taxation is requested to conduct a study on the advantages and disadvantages of disallowing the dividends paid deduction for real estate investment trusts; and
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6969 BE IT FURTHER RESOLVED the study is requested to estimate the change in revenue collected by the State after disallowing the dividends paid deduction, including the impact to the amount of general excise taxes collected from the operation of hotels owned by real estate investment trusts, other corporate income tax deductions that real estate investment trusts could take, and any differences in the levels of maintenance and capital improvements to properties between real estate investment trusts and non-real estate investment trust owners; and
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7373 BE IT FURTHER RESOLVED that the study consider other states' policies on the dividends paid deduction for real estate investment trusts, and any impacts or effects resulting therefrom; and
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7777 BE IT FURTHER RESOLVED that the study consider possible exceptions to disallowing the dividends paid deduction on all real estate investment trusts, including but not limited to real estate investment trusts with a majority of their assets in Hawaii and revenue from hotels owned by real estate investment trusts; and
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8181 BE IT FURTHER RESOLVED that a certified copy of this Concurrent Resolution be transmitted to the Director of Taxation.
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8989 OFFERED BY: _____________________________
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147147 Report Title:
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149149 Taxation; Real Estate Investment Trusts; Dividends Paid Deduction;