The White House unveiled some new tax  cut benefits for corporations, that Treasury Secretary Timothy Geithner  says will restore balance to the US tax code. I have included a snippet  from a Wall Street Journal story on the new changes, but the full text  can be read  here.
The White House on Monday unveiled proposals  to cut tax benefits for U.S. corporations that invest overseas and to  use some of the expected revenue to make permanent a tax credit for  investment in research and development.
U.S. President Barack Obama hailed the  proposal and another intended to crack down on individuals who use overseas  accounts to dodge U.S. taxes. Collectively, the administration said  two proposals and other international tax changes to be released with  the administration's budget later this month would raise $210 billion  over 10 years.
The proposals target the foreign profits  of U.S. firms like Intel Corp. (INTC), Eastman Kodak Co. (EK), Agilent  Technologies (A), Johnson & Johnson (JNJ), Motorola Inc. (MOT) and  Pfizer Inc. (PFE).
U.S. Treasury Secretary Timothy Geithner,  who appeared with Internal Revenue Service Commissioner Douglas Shulman  alongside the president on Monday, said the administration's proposals  are intended to "restore balance" and fairness to the U.S.  tax code and end "indefensible tax breaks."
 
Obama called the proposed changes a "down  payment" on reforms to ensure that U.S. companies "pay what  they should."
Currently, U.S. businesses may take immediate  deductions on their U.S. tax returns for expenses on overseas investments,  but defer paying U.S. taxes on profits from those investments. Obama  characterized the practice as part of a "broken" tax code  that favors companies for investing overseas as opposed to those that  invest and create jobs at home.
Under the administration's proposal,  companies would be barred from taking deductions on their U.S. taxes  for offshore investments until they pay taxes on their offshore profits.  It calls for the change to take effect in 2011, estimating it would  raise $60.1 billion from 2011 to 2019.
That is similar to a measure proposed  by House Ways and Means Chairman Charles Rangel, D-N.Y. But in one difference  from the Rangel proposal, the White House plan would preserve the tax  benefit for U.S.-based research that is related to overseas business.
 
Additionally, the administration called  for new limits on tax provisions that allow U.S. businesses to claim  a credit against their U.S. taxes for the foreign taxes paid, saying  some U.S. firms take advantage of it by inflating or accelerating foreign-tax  credits. Closing such loopholes would raise $43.0 billion from 2011  to 2019, the administration said.
