BILL ANALYSIS                                                                                                                                                                                                    �



                                                                  AB 152
                                                                  Page  1

          Date of Hearing:  May 2, 2011

                     ASSEMBLY COMMITTEE ON REVENUE AND TAXATION
                                Henry T. Perea, Chair

                    AB 152 (Fuentes) - As Amended:  April 14, 2011

                                      VOTE ONLY

          Majority vote.  Fiscal committee.  
           
          SUBJECT  :  Food banks:  grants:  voluntary contributions:  income 
          tax credits 

           SUMMARY  :  Requires the State Department of Social Services to 
          establish and administer a State Emergency Food Assistance 
          Program, as specified.  Specifically, the tax-related provisions 
          of  this bill  :

          1)Allow a tax credit, under both the Personal Income Tax Law and 
            the Corporation Tax Law, to "qualified taxpayers" who donate 
            fresh fruits or fresh vegetables to a food bank located in 
            California under Food and Agriculture Code (FAC) Section 58501 
            et seq.  

          2)Provide that the credit shall be equal to 10% of the cost 
            included in inventory costs under Internal Revenue Code (IRC) 
            Section 263A, or that would be required to be included in 
            inventory costs but for the exception for farming businesses 
            contained in IRC Section 263A(d), with respect to those fresh 
            fruits or fresh vegetables.  (Generally, inventory costs would 
            include both the direct costs and the allocated indirect costs 
            required to produce the fresh fruits or vegetables.) 

          3)Define a "qualified taxpayer" as the person responsible for 
            planting a crop, managing the crop, and harvesting the crop 
            from land.  

          4)Provide that, if the credit is claimed, any deduction 
            otherwise allowed for that amount of the cost that is eligible 
            for the credit shall be reduced by the amount of the credit.  

          5)Provide that, upon receipt of the donated fresh fruit or fresh 
            vegetables, the nonprofit organization shall provide a 
            certificate to the donor.  This certificate shall contain a 








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            signed statement that the product is donated under FAC Section 
            58501 et seq.  The certificate shall also contain the type and 
            quantity of product donated, the name of the donor or donors, 
            and the name and address of the donee. 

          6)Provide that, in cases where the credit exceeds the taxpayer's 
            tax liability, the excess credit amount may be carried over to 
            the next year, and the succeeding six years if necessary, 
            until the credit is exhausted.  

          7)Provide that, to the extent data are available, the Franchise 
            Tax Board (FTB) shall report to the Legislature regarding the 
            utilization of the credit.  

          8)Apply to taxable years beginning on or after January 1, 2012, 
            and before January 1, 2017.

          9)Are automatically repealed on December 1, 2017.  

           EXISTING LAW  :

          1)Allows for the deduction of all ordinary and necessary 
            expenses of a trade or business.  

          2)Allows taxpayers to claim a deduction for charitable 
            contributions made to qualified organizations.  For 
            corporations, the deduction is generally limited to 10% of net 
            income.  

          3)Provides special rules for contributions of food inventory.  

          4)Provides a credit equal to 50% of the transportation costs 
            paid or incurred in transporting any donated agricultural 
            product to a nonprofit charitable organization.  

           FISCAL EFFECT  :  The FTB estimates General Fund revenue losses of 
          $200,000 in fiscal year (FY) 2011-12, $200,000 in FY 2012-13, 
          and $400,000 in FY 2013-14.    

           COMMENTS  :   

          1)The author has provided the following statement in support of 
            this bill:

               AB 152 would increase access to fresh and healthy 








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               California-grown foods for low-income Californians by 
               creating a state emergency food assistance program for the 
               purchase and distribution of healthy California food to 
               low-income communities, and by providing a tax credit to 
               California growers who donate fresh fruits and vegetables 
               to California food banks.  It also works to remove 
               administrative barriers in getting obesity prevention 
               dollars into California communities in a quicker fashion by 
               providing grant making authority to the California 
               Department of Public Health.  

          2)Proponents state, "More than 20 percent of Californians (over 
            7 million) report they are unable �to] afford the food they 
            need - including many seniors and working parents whose 
            budgets for food are squeezed by the economic downturn and 
            slow recovery.  Food banks across the state have experienced 
            an unprecedented increase in requests, beyond anything seen in 
            a generation.  Meanwhile, many healthy foods remain out of 
            reach to low-income Californians because of their high cost."  


          3)The FTB notes the following in its staff analysis of this 
            bill:

             a)   "The definition of a qualified taxpayer as the person 
               that is responsible for planting a crop, managing the crop, 
               and harvesting the crop from land is silent on requiring 
               the person to be engaged in the business of farming and 
               specifying that the crop is the source of the donated fresh 
               fruits or fresh vegetables.  As a result, "qualified 
               taxpayer" could be more broadly interpreted than the author 
               intends."

             b)   "This bill uses the undefined term, "fresh fruits or 
               fresh vegetables."  The absence of a definition to clarify 
               this term could lead to disputes with taxpayers and would 
               complicate the administration of this credit.  For example 
               would a qualified taxpayer that performed some on-site 
               processing, i.e., washing, pasteurizing, flash freezing, 
               and bagging or boxing fresh fruits or fresh vegetables, be 
               eligible for the credit for donating these items?"  

             c)   "Under the terms of this bill, two reports would be 
               required because the initial report on credit utilization 
               would be due in 2014 and the reporting requirement would 








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               become inoperative on January 1, 2016.  Because of the 
               timing of when returns are filed and processed, the initial 
               report date in 2014 would allow that report to include data 
               on the first year of the credit utilization, taxable year 
               2012, and the final required report would include complete 
               data on taxable year 2013.  If it is the author's intention 
               that a report on credit utilization be required for each 
               year that the credit could be generated, the author may 
               wish to extend the duration of the reporting requirement."

             d)   "Sections 17053.88 and 23688 need to be amended where 
               the term "taxpayer" appears, as it should be "qualified 
               taxpayer" to correspond to the definition in subdivision 
               (b) of those sections."

             e)   "Subdivision (f) of Section 17053.88 needs to be amended 
               where the term "operative" appears, as it should be 
               "inoperative" to correspond to the definition in 
               subdivision (g)."

             f)   "The language that would allow the credit to be carried 
               over after it has been repealed is unnecessary because 
               existing state law provides this general rule."

          4)Committee Staff Comments:

              a)   What is a "tax expenditure"?  :  Existing law provides 
               various credits, deductions, exclusions, and exemptions for 
               particular taxpayer groups.  In the late 1960's, United 
               States Treasury officials began arguing that these features 
               of the tax law should be referred to as "expenditures," 
               since they are generally enacted to accomplish some 
               governmental purpose and there is a determinable cost 
               associated with each (in the form of foregone revenues).  
               This bill would enact a tax expenditure, in the form of an 
               income tax credit, designed to incentivize the donation of 
               healthy produce to food banks to reduce the devastating 
               impact of hunger on adults, children, and seniors in 
               California.

              b)   How is a tax expenditure different from a direct 
               expenditure?  :  As the Department of Finance notes in its 
               annual Tax Expenditure Report, there are several key 
               differences between tax expenditures and direct 
               expenditures.  First, tax expenditures are reviewed less 








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               frequently than direct expenditures once they are put in 
               place.  This can offer taxpayers greater certainty, but it 
               can also result in tax expenditures remaining a part of the 
               tax code without demonstrating any public benefit.  Second, 
               there is generally no control over the amount of revenue 
               losses associated with any given tax expenditure.  Finally, 
               it should also be noted that, once enacted, it generally 
               takes a two-thirds vote to rescind an existing tax 
               expenditure absent a sunset date.  This effectively results 
               in a "one-way ratchet" whereby tax expenditures can be 
               conferred by majority vote, but cannot be rescinded, 
               irrespective of their efficacy, without a supermajority 
               vote.

           5)Related legislation  :  

             a)   AB 727 (Correa), of the 2001-02 Legislative Session, 
               would have established a tax credit equal to 10% of the 
               normal inventory costs for the donation of agricultural 
               products to a food bank located in Fresno, Orange, or Santa 
               Cruz Counties.  AB 727 failed to pass out of the Senate 
               Committee on Revenue and Taxation. 

             b)   AB 287 (Strickland), of the 1999-2000 Legislative 
               Session, would have established a credit equal to 10% of 
               the wholesale value of agricultural products donated by a 
               taxpayer to a nonprofit charitable organization or food 
               bank.  AB 287 was held by the Assembly Committee on 
               Appropriations. 

             c)   AB 196 (Thomson), of the 1997-98 Legislative Session, 
               would have established a tax credit equal to 20% of the 
               cost of agricultural products donated to a nonprofit 
               charitable organization.  AB 196 was held by the Senate 
               Committee on Appropriations.    

             d)   AB 364 (Cannella), of the 1995-96 Legislative Session, 
               would have, among other things, established a tax credit 
               equal to 10% of the cost of food donated to nonprofit 
               charitable organizations.  AB 364 was held by the Senate 
               Committee on Appropriations. 

             e)   AB 2346 (Kelley), Chapter 1248, Statutes of 1989, 
               established a very similar tax credit for the donation of 
               agricultural products to certain nonprofit charitable 








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               organizations.  This credit was repealed by its own terms 
               on December 1, 1992.  

           6)Double-referral  :  This bill was double-referred to the 
            Assembly Committee on Health, which passed this bill out on a 
            19-0 vote on March 22, 2011.  For additional discussion of AB 
            152, please refer to that committee's analysis of the bill.  
           
           REGISTERED SUPPORT / OPPOSITION  :   

           Support 
           
          Alameda County Community Food Bank
          American Federation of State, County and Municipal Employees, 
          AFL-CIO 
          California Association of Food Banks
          California Communities United Institute
          California Food Policy Advocates
          California Hunger Action Coalition
          Community Action Agency of Butte County, Inc. 
          Community Food Bank
          Community Food Bank of San Benito County
          Food Bank of Contra Costa and Solano
          Food Bank for Monterey County
          Foodbank of Santa Barbara County
          HMC Farms
          Hunger Action Los Angeles 
          Imperial County Food Bank
          Interfaith Council of Amador 
          Los Angeles Regional Foodbank
          Mendocino Food and Nutrition Program
          Meyers Farms Family Trust
          Ocean Mist Farms
          Orange County Food Bank
          Prima Frutta Packing, Inc.  
          Prime Time International
          Quality Packing
          Redwood Empire Food Bank
          San Francisco Food Bank
          Second Harvest Food Bank of Orange County
          Second Harvest Food Bank of Santa Clara and San Mateo Counties
          Simonian Fruit Company
          T.D. Produce Sales
          Van Groningen and Sons, Inc. 
          Vessey and Company, Inc. 








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           Opposition 
           
          None on file 
           
          Analysis Prepared by  :  M. David Ruff / REV. & TAX. / (916) 
          319-2098