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Tax Reform Act of 1969


The United States Tax Reform Act of 1969 (Pub.L. 91–172) was a federal tax law signed by president Richard Nixon in 1969. The largest impact of the act was the creation of the Alternative Minimum Tax, which was intended to tax high income earners otherwise exempt from income taxes through various exemptions and deductions. In addition to the AMT, the act established individual and corporate minimum taxes, established a new tax schedule for single taxpayers, and slightly increased standard deductions and personal exemptions.

The Office of Tax Analysis of the United States Department of the Treasury summarized the tax changes as follows:

The Act provided a government definition of "private foundation" for the first time (albeit indirectly).

The explanation of the Act prepared by Congress's Staff of the Joint Committee on Internal Revenue Taxation says:

"20. Alternative capital gains tax rate.—The Act gradually eliminates the alternative tax on long-term capital gains for individual taxpayers to the extent they have capital gains of more than $50,000. Long-term capital gains up to $50,000 received by individuals continue to qualify for the 25-percent alternative capital gains tax rate. However, the maximum tax rate on that part of long-term capital gains above $50,000 is increased to 29.5 percent in 1970, 32.5 percent in 1971, and 35 percent (one-half the 70 percent top tax rate applicable to ordinary income) in 1972 and later years. The alternative tax rate on corporate long-term capital gains income is increased to 28 percent in 1970 and 30 percent in 1971 and later years."

The Act also included for the first time an Alternative Minimum Tax, set at 10%. The change was explained as follows:

"The prior treatment imposed no limit on the amount of income which an individual or corporation could exclude from tax as the result of various tax preferences. As a result, there were large variations in the tax burdens placed on individuals or corporations with similar economic incomes, depending upon the size of their preference income. In general, those individual or corporate taxpayers who received the bulk of their income from personal services or manufacturing were taxed at relatively higher tax rates than others. On the other hand, individuals or corporations which received the bulk of their income from such sources as capital gains or were in a position to benefit from net lease arrangements, from accelerated depreciation on real estate, from percentage depletion, or from other tax-preferred activities tended to pay relatively low rates of tax. In fact, many individuals with high incomes who could benefit from these provisions paid lower effective rates of tax than many individuals with modest incomes. In extreme cases, individuals enjoyed large economic incomes without paying any tax at all. This was true for example in the case of 154 returns in 1966 with adjusted gross incomes of $200,000 a year (apart from those with income exclusions which do not show on the returns filed). Similarly, a number of large corporations paid either no tax at all or taxes which represented very low effective rates."


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