ABSTRACT: This article discusses recent developments for both federal and state tax purposes that directly impact the entertainment industry. For federal purposes, Congress has recently expanded the scope of the Section 181 and 199 deductions to allow more generous deductions, and in the case of Section 199 to relax the requirements which must be met to claim the deduction. The states seem to be in competition to “outdo” each other in enacting rebates or transferable credits to enhance the desirability of their states for film production. The tax treatment of these credits for both federal and state purposes is discussed, and the Appendix summarizes the provisions of these incentives on a state‐by‐state basis. The article concludes with a discussion of the effectiveness of this type of incentive legislation.
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1 December 2009
Research Article|
January 01 2009
Lord of the Rings Impact on Federal and State Film Industry Tax Incentives and Their Tax Treatment Available to Purchase
Kathleen K. Wright, Professor;
Kathleen K. Wright, Professor
aCalifornia State University at Fullerton.
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Stewart S. Karlinsky, Professor Emeritus;
Stewart S. Karlinsky, Professor Emeritus
bSan Jose State University.
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Kim A. Tarantino, Lecturer
Kim A. Tarantino, Lecturer
cCalifornia State University at Fullerton.
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American Accounting Association
2009
The ATA Journal of Legal Tax Research (2009) 7 (1): 57–75.
Citation
Kathleen K. Wright, Stewart S. Karlinsky, Kim A. Tarantino; Lord of the Rings Impact on Federal and State Film Industry Tax Incentives and Their Tax Treatment. The ATA Journal of Legal Tax Research 1 December 2009; 7 (1): 57–75. https://doi.org/10.2308/jltr.2009.7.1.57
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