An Analysis of the Geographic Distribution of
February 18, 2021
the Mortgage Interest Deduction: Before and
Mark P. Keightley
After the 2017 Tax Revision (P.L. 115-97)
Specialist in Economics
Policymakers may be interested in the mortgage interest deduction (MID) because it is
associated with homeownership and is one of the largest tax benefits available to
homeowners in terms of forgone federal tax revenue. P.L. 115-97, commonly referred to
as the Tax Cuts and Jobs Act (TCJA), reduced the maximum mortgage balance eligible for the deduction and
restricted the deduction of interest associated with home equity loans starting in the 2018 tax year. The TCJA also
increased the standard deduction and limited the deduction for state and local taxes (SALT), which reduced the
number of taxpayers who claim itemized deductions general y, including for mortgage interest. Barring
congressional action, the changes to the mortgage interest deduction (and the standard and SALT deductions) wil
revert to pre-TCJA law after 2025.
The mortgage interest deduction is one of hundreds of tax benefits considered a tax expenditure. Tax expenditures
can general y be viewed as government spending administered via the tax code, and may also be intended to
achieve particular policy objectives. Regardless of the interpretation, tax expenditures like the mortgage interest
deduction provide a benefit to qualifying taxpayers by lowering their federal tax liabilities. For this reason, and
because some policymakers have expressed interest in increasing equity (fairness) in the tax code, it is important
to understand how the mortgage interest deduction’s benefits are distributed by income class. Additional y,
understanding how the deduction’s benefits are distributed across taxpayers in different states may help Members
of Congress assess how potential policy changes might affect their constituents.
This report’s analysis—which examines the mortgage interest deduction’s geographic distribution in the years
preceding (2016) and following (2018) TCJA’s enactment—indicates that the deduction’s benefits are not
distributed uniformly across the states according to several measures of benefit. A number of reasons likely
explain why the variation exists, including differences in homeownership rates, home prices, state and local tax
policies, and area incomes. The data used in this report, however, are not detailed enough to isolate and quantify
the individual factors’ effects on the variation across states.
The report concludes by providing a number of policy options and considerations for Congress. Analysis of these
options suggests that some of them may provide a benefit that is more uniformly distributed across geographic
areas. For example, limiting the size of mortgages that qualify for the deduction could reduce some of the
variation caused by regional differences in home prices. Replacing the deduction with a credit, or limiting the rate
at which interest could be deducted, could reduce variation in benefits caused by differences in area incomes.
Stil , it is important to understand that any change to the mortgage interest deduction would likely require careful
consideration of how to transition to the new policy while minimizing disruptions to the housing market and
overal economy.
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An Analysis of the Geographic Distribution of the Mortgage Interest Deduction
Contents
Introduction ................................................................................................................... 1
Background.................................................................................................................... 1
Overview of the TCJA MID Rules ............................................................................... 2
Comparison to Prior Law ............................................................................................ 2
Data Analysis ................................................................................................................. 3
Tax Expenditure by State ............................................................................................ 3
Share of Homeowners Claiming MID by State ............................................................... 5
Tax Expenditure Per MID Claimant by State.................................................................. 7
Reasons for the Variation in MID Beneficiaries .............................................................. 9
The TCJA ........................................................................................................... 9
Homeownership Rates ........................................................................................ 10
Home Prices ...................................................................................................... 12
State and Local Taxes ......................................................................................... 12
Incomes ............................................................................................................ 12
Policy Options and Considerations................................................................................... 12
Retain the Current Deduction .................................................................................... 13
Eliminate the Deduction ........................................................................................... 13
Limit the Deduction ................................................................................................. 14
Replace the Deduction with a Credit ........................................................................... 15
Figures
Figure 1. Mortgage Interest Deduction Tax Expenditures by State, 2018 .................................. 4
Figure 2. Percentage Change in Mortgage Interest Deduction Tax Expenditure by State,
2016 to 2018 ............................................................................................................... 5
Figure 3. Percentage of Homeowners Who Claimed the MID by State, 2018 ............................ 6
Figure 4. Percentage Change In Share of Homeowners Who Claimed the MID by State,
2016 to 2018 ............................................................................................................... 7
Figure 5. Mortgage Interest Deduction Tax Expenditure Per Claimant by State, 2018 ................ 8
Figure 6. Percentage Change in Mortgage Interest Deduction Tax Expenditure Per
Claimant by State, 2016 to 2018 ..................................................................................... 9
Figure 7. Homeownership Rate by State, 2018................................................................... 11
Tables
Table 1. Distribution of Mortgage Interest Deduction Tax Expenditure by Income Class,
2016 and 2020 ........................................................................................................... 10
Appendixes
Appendix. Estimation Methodology ................................................................................. 18
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Contacts
Author Information ....................................................................................................... 18
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An Analysis of the Geographic Distribution of the Mortgage Interest Deduction
Introduction
This report analyzes the geographic distribution of the mortgage interest deduction (MID) tax
expenditure in the years preceding and following enactment of P.L. 115-97, commonly referred to
as the Tax Cuts and Jobs Act (TCJA).1 The TCJA reduced the maximum mortgage balance
eligible for the deduction and restricted the deduction of interest associated with home equity
loans, starting in the 2018 tax year. The TCJA also increased the standard deduction and limited
the deduction for state and local taxes (SALT),2 which reduced the number of taxpayers who
claim itemized deductions general y, including for mortgage interest. Barring congressional
action, the changes to the mortgage interest deduction (and the standard and SALT deductions)
wil revert to pre-TCJA law after 2025.
The mortgage interest deduction interests policymakers because it is associated with
homeownership and is one of the largest tax benefits available to homeowners in terms of forgone
federal tax revenue. Tax expenditures can general y be viewed as government spending
administered via the tax code. These tax benefits may also be intended to achieve particular
policy objectives. Regardless of the interpretation, tax expenditures like the mortgage interest
deduction provide a benefit to qualifying taxpayers by lowering their federal tax liabilities. For
this reason, and because some policymakers have expressed interest in increasing equity
(fairness) in the tax code, it is important to understand how the mortgage interest deduction’s
benefits are distributed by income class. Additional y, understanding how the deduction’s benefits
are distributed across taxpayers in different states may help Members of Congress assess how
potential policy changes might affect their constituents.3
Background
Homeowners have had the ability to deduct the interest paid on home mortgages since the
introduction of the modern federal income tax code in 1913. Congress recognized the importance
of al owing for the deduction of expenses incurred in the generation of income, which is
consistent with traditional economic theories of income taxation.4 At the time the framework for
the federal income tax code was being laid, most interest payments were business-related
expenses. Compared to the present day, households general y had very little debt on which
interest payments were required—credit cards did not yet exist and the mortgage finance industry
was in its infancy. As a result, al interest payments were deductible, with no distinction made for
business, personal, living, or family expenses.
For more than 70 years, there was no limit on the amount of home mortgage interest that could be
deducted. That changed with the Tax Reform Act of 1986 (TRA86; P.L. 99-514), which restricted
the amount of mortgage interest that could be deducted and limited the number of homes for
which the deduction could be claimed to two. Mortgage interest deductibility was limited to the
purchase price of the home, plus any improvements, and to debt secured by the home but used for
1 For more information on P.L. 115-97, see CRS Report R45092,
The 2017 Tax Revision (P.L. 115-97): Comparison to
2017 Tax Law, coordinated by Molly F. Sherlock and Donald J. Marples.
2 For more information on the SALT deduction, see CRS Report R46246,
The SALT Cap: Overview and Analysis, by
Grant A. Driessen and Joseph S. Hughes.
3 Although other distributions (e.g., across income levels) might be of interest to policymakers, analysis of these other
distributions is beyond the scope of this report.
4 Sen. William Borah,
Congressional Record, August 28, 1913, p. S3832.
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qualified medical and educational expenses.5 Subsequently, the Omnibus Budget Reconciliation
Act of 1987 (P.L. 100-203) established the basic deduction limits in effect until enactment of the
TCJA.
Overview of the TCJA MID Rules
Under current law (i.e., since the TCJA), a taxpayer may claim an itemized deduction for
“qualified residence interest,” which can include interest paid on a mortgage secured by a
principal residence and a second residence. The amount of interest that is deductible depends on
when the mortgage debt was incurred. For mortgage debt incurred on or before December 15,
2017, the combined mortgage limit is $1 mil ion ($500,000 for married filing separately). For
mortgage debt incurred after December 15, 2017, the deduction is limited to the interest incurred
on the first $750,000 ($375,000 for married filing separately) of combined mortgage debt.
If a taxpayer has mortgage debt exceeding the applicable mortgage limit ($750,000 or $1
mil ion), he or she may stil claim a deduction for a percentage of interest paid equal to the
applicable mortgage limit divided by the remaining mortgage balance. For example, a
homeowner whose mortgage was originated after December 15, 2017, and who has a balance of
$1 mil ion could deduct 75% ($750,000 divided by $1 mil ion) of the interest payments.
Refinanced mortgage debt is treated as having been incurred on the origination date of the
original mortgage for purposes of determining which mortgage limit applies ($750,000 or $1
mil ion). The balance of the new loan resulting from the refinance, however, may not exceed the
balance of the original loan. This may occur, for example, when a homeowner “cashes out” equity
in the home by obtaining a larger loan than is necessary to pay off the current mortgage balance.
For purposes of the deduction, mortgage debt includes home equity loans secured by a principal
or second residence that are used to buy, build, or substantial y improve a taxpayer’s home.
Mortgage debt
does not include home equity loans when the proceeds are used for purposes
unrelated to the property securing the loan. For example, interest associated with a home equity
loan that is used to pay off a credit card balance, go on a vacation, or send a child to college does
not qualify for the mortgage interest deduction. The restrictions on the use of home equity loans
apply irrespective of when the loan was originated.
Comparison to Prior Law
Under prior law (i.e., immediately preceding the TCJA), a homeowner was al owed an itemized
deduction for the interest paid on the first $1 mil ion of combined mortgage debt associated with
a primary or secondary residence. As with current law, a homeowner could deduct a percentage of
interest paid if the mortgage balance exceeded the $1 mil ion limit. Additional y, a homeowner
was al owed to deduct the interest on the first $100,000 of home equity debt regardless of
whether or not the taxpayer incurred the debt to finance costs associated with the home. For
example, under prior law, a homeowner could use a home equity loan to purchase a boat, pay for
a child’s college, cover medical costs, or any number of other things not involving the property
that secured the loan and stil deduct the associated interest. In contrast, a home equity loan used
for these purposes does not qualify for the mortgage interest deduction under current law.
5 Ibid.
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Data Analysis
The Joint Committee on Taxation (JCT) has estimated that the mortgage interest deduction
reduced federal tax revenues by $25.5 bil ion in FY2020 and wil reduce revenues by $23.7
bil ion in FY2021.6
The following analysis describes how the mortgage interest deduction’s benefits are distributed
across states, and what impact, if any, the TCJA has had on that distribution. For the purposes of
this analysis, the benefits of the deduction to claimants are measured in terms of the revenue loss
associated with the provision. Because the JCT does not produce tax expenditure estimates on a
state-by-state basis, CRS used an approach that accounts for state-level differences in incomes
and in amounts of mortgage interest deducted to al ocate the JCT’s national expenditure estimate
to the states. This approach is explained in t
he Appendix.
The analysis focuses on FY2016 and FY2018. Although the JCT has published more recent
estimates, the Internal Revenue Service (IRS) tax data necessary for a state-by-state analysis are
only available through 2018. These years also correspond to the years preceding and following
enactment of the TCJA. Unless otherwise noted, the JCT estimates used in the analysis below are
from the JCT’s distributional estimates (by income), which vary slightly from JCT’s line item
analysis.
The following sections analyze the mortgage interest deduction by state and changes that
occurred in each state after the TCJA. An analysis of factors that may have led to these changes is
provided in the subsequent section
(“Reasons for the Variation in MID Beneficiaries”).
Tax Expenditure by State
Figure 1 displays the estimated mortgage interest deduction tax expenditure for each state in
2018.7 The data presented in the figure may be interpreted in one of two ways: (1) the amount of
federal spending per state administered through the tax code that is attributable to the mortgage
interest deduction; (2) the reduction in total federal tax liability realized collectively by
individuals in each state from al owing mortgage interest to be deducted. Nationwide, the average
tax expenditure per state in 2018 was $489 mil ion. Natural y, more populous states tended to
realize larger benefits from the deduction because they general y had more total homeowners who
were eligible to claim it. For example, the tax expenditure attributable to California (most
populous) was $6.3 bil ion, while the expenditure for Wyoming (least populous) was $22.2
mil ion.
6 U.S. Congress, Joint Committee on T axation,
Estimates of Federal Tax Expenditures For Fiscal Years 2020 -2024,
committee print, 116th Cong., 2nd sess., November 5, 2020, JCX-23-20 (Washington: GPO, 2020).
7 All data maps presented in this report were created using the Jenks classification method.
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Figure 1. Mortgage Interest Deduction Tax Expenditures by State, 2018
Source: CRS estimates based on Internal Revenue Service, Statistics of Income, Individual Income Tax State
Data, Historic Table 2, 2018; and Table 3 in U.S. Congress, Joint Committee on Taxation,
Estimates of Federal Tax
Expenditures for Fiscal Years 2018-2022, 115th Cong., 2nd sess., October 4, 2018, JCX-81-18.
Figure 2 displays the percentage change in the estimated mortgage interest deduction tax
expenditure by state between 2016 and 2018. Following the TCJA, there was an average 61%
decrease in the estimated tax expenditure per state. The largest decreases occurred in four
midwestern states—Iowa (-77%), Nebraska (-75%), Ohio (-75%), and Wisconsin (-76%)—plus
West Virginia (-75%) and Vermont (-76%). The smal est decreases occurred in California (-52%),
Washington, DC (-46%), Hawai (-55%), and Maryland (-56%).
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Figure 2. Percentage Change in Mortgage Interest Deduction Tax Expenditure by
State, 2016 to 2018
Source: CRS estimates based on Internal Revenue Service, Statistics of Income, Individual Income Tax State
Data, Historic Table 2, 2016 and 2018; Table 3 in U.S. Congress, Joint Committee on Taxation,
Estimates of
Federal Tax Expenditures for Fiscal Years 2016-2020, 115th Cong., 1st sess., January 30, 2017, JCX-3-17; and Table 3
in U.S. Congress, Joint Committee on Taxation, Estimates of Federal Tax Expenditures for Fiscal Years 2018 -
2022, 115th Cong., 2nd sess., October 4, 2018, JCX-81-18.
Share of Homeowners Claiming MID by State
Many homeowners do not claim the mortgage interest deduction. Several factors may explain
this, including not having a mortgage, having low mortgage payments (from being toward the end
of the mortgage period, from living in a low-cost area, or because of historical y low interest
rates), or living in a state without an income tax. Following the TCJA’s enactment, one of the
largest factors driving the relatively low MID claim rates was a significant reduction in overal
itemization rates caused by the near doubling of the standard deduction and the $10,000 limit
placed on the deduction for state and local income taxes (SALT).8
Figure 3 shows that about 18% of al U.S. homeowners claimed the deduction in 2018.9
Homeowners in West Virginia had the lowest claim rate at 5%, while homeowners in DC had the
highest claim rate at 52%, followed by Maryland at 40%. States in the middle and southern
portions of the country tended to have the lowest percentages of homeowners who claimed the
deduction. States on the West Coast, in parts of the mid-Atlantic, and in the Northeast had some
of the highest claim rates, as did Colorado, Utah, and Georgia.
8 T he standard deduction is indexed for inflation. In 2021, the standard deduction is $12,550 for single filers, $25,100
for married filers, and $18,800 for head of household filers.
9 T he distribution of homeowners who claim the mortgage interest deduction generally mimics the distribution of all
tax filers who claim the deduction. Because of this, only data on homeowner claim rates are presented here.
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Figure 3. Percentage of Homeowners Who Claimed the MID by State, 2018
Source: CRS estimates based on Internal Revenue Service, Statistics of Income, Individual Income Tax State
Data, Historic Table 2, 2018; and U.S. Census Bureau, American Community Survey, 2018.
Figure 4 displays the percentage change between 2016 and 2018 in the share of homeowners
who claimed the mortgage interest deduction by state. Following the TCJA, the estimated claim
rate among al homeowners decreased by 60% on average. The largest decrease occurred among
homeowners in Iowa (-78%), while the smal est decreased occurred among homeowners in DC (-
30%), followed by California (-40%). Overal , reduced claim rates appeared to be mostly
concentrated in the middle of the country, though several New England states experienced
greater-than-average declines.
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Figure 4. Percentage Change In Share of Homeowners Who Claimed the MID by
State, 2016 to 2018
Source: CRS estimates based on Internal Revenue Service, Statistics of Income, Individual Income Tax State
Data, Historic Table 2, 2016 and 2018; and U.S. Census Bureau, American Community Survey, 2016 and 2018.
Tax Expenditure Per MID Claimant by State
Figure 5 displays the geographic distribution of the average mortgage interest deduction tax
expenditure per claimant for each state. The data show that U.S. taxpayers claiming the mortgage
interest deduction saved approximately $1,772 in taxes on average in 2018
. Figure 5 indicates
that there was variation among states in the average benefit received by those claiming the
deduction. Claimants in Washington, DC, received the largest average benefit ($2,404) from the
deduction, followed by claimants in California ($2,272). At the other end of the spectrum,
claimants in Mississippi received the smal est average benefit ($1,090), followed by claimants in
Iowa ($1,179). Stated differently, on average, claimants in DC had their tax liability reduced by a
little more than twice as much as claimants in Mississippi.
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Figure 5. Mortgage Interest Deduction Tax Expenditure Per Claimant by State, 2018
Source: CRS estimates based on Internal Revenue Service, Statistics of Income, Individual Income Tax State
Data, Historic Table 2, 2018; and Table 3 in U.S. Congress, Joint Committee on Taxation,
Estimates of Federal Tax
Expenditures for Fiscal Years 2018-2022, 115th Cong., 2nd sess., October 4, 2018, JCX-81-18.
Figure 6 displays the average percentage change between 2016 and 2018 in the mortgage interest
deduction tax expenditure per claimant by state. Following the TCJA, there was an average 8%
($157) decrease in the estimated tax expenditure per claimant across the country. The largest
decreases occurred in DC (-30%) and Maryland (-27%). Claimants in Iowa and Tennessee
experienced no change in their benefits, on average. Claimants in six states—Idaho (3%), Indiana
(3%), Kentucky (5%), Ohio (1%), South Dakota (6%), and West Virginia (1%)—realized
increased benefits on average.
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Figure 6. Percentage Change in Mortgage Interest Deduction Tax Expenditure Per
Claimant by State, 2016 to 2018
Source: CRS estimates based on Internal Revenue Service, Statistics of Income, Individual Income Tax State
Data, Historic Table 2, 2016 and 2018; Table 3 in U.S. Congress, Joint Committee on Taxation,
Estimates of
Federal Tax Expenditures for Fiscal Years 2016-2020, 115th Cong., 1st sess., January 30, 2017, JCX-3-17; and Table 3
in U.S. Congress, Joint Committee on Taxation,
Estimates of Federal Tax Expenditures for Fiscal Years 2018-2022,
115th Cong., 2nd sess., October 4, 2018, JCX-81-18.
Reasons for the Variation in MID Beneficiaries
A number of factors likely contribute to the state-by-state variation in the per-claimant mortgage
interest deduction tax expenditure. Isolating and quantifying each factor’s precise effect is
complicated by the interaction of the various factors and the use of state-level data. Stil , it is
useful to highlight general differences among states that are likely contributing to the variation.
Understanding the causes of state-by-state variation may be helpful in analyzing potential policy
changes.
The TCJA
The TCJA’s lower mortgage limits reduced the amount of interest that can be deducted relative to
prior law, but that reduction may not be the TCJA’s most significant contribution to variation
across states. Other TCJA changes, specifical y the near doubling of the standard deduction and
the $10,000 SALT deduction limit, are estimated to have reduced the overal itemization rate.
Shortly after TCJA enactment, the Tax Policy Center estimated the act would reduce the overal
itemization rate from 26.4% of taxpayers to 10.9%.10 Because taxpayers must itemize to claim the
10 T ax Policy Center,
T18-0001 - Impact on the Number of Itemizers of H.R.1, The Tax Cuts and Jobs Act (TCJA), By
Expanded Cash Incom e Level, 2018, January 11, 2018, https://www.taxpolicycenter.org/model-estimates/impact-
itemized-deductions-tax-cuts-and-jobs-act-jan-2018/t18-0001-impact-number.
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mortgage interest deduction, fewer homeowners now benefit from the deduction (see
Figure 4).
As a result, the TCJA also reduced the overal cost associated with the mortgage interest
deduction (se
e Figure 2).
Table 1. Distribution of Mortgage Interest Deduction Tax Expenditure by Income
Class, 2016 and 2020
2016
2020
Share of
Share of Tax
Share of
Share of Tax
Income Class
Claimants
Expenditure
Claimants
Expenditure
Below $30k
1.5%
0.3%
0.7%
0.1%
$30k to $40k
2.0%
0.5%
1.0%
0.2%
$40k to $50k
3.4%
0.9%
1.9%
0.5%
$50k to $75k
13.9%
5.6%
9.0%
2.9%
$75k to $100k
15.0%
8.5%
11.3%
5.8%
$100k to $200k
43.1%
38.3%
38.8%
27.6%
$200k and over
21.2%
45.9%
37.3%
62.8%
Total
100%
100%
100%
100%
Source: CRS calculations using estimates reported in Tables 3 of U.S. Congress, Joint Committee on Taxation,
Estimates of Federal Tax Expenditures for Fiscal Years 2016-2020, 115th Cong., 1st sess., January 30, 2017, JCX-3-17,
and U.S. Congress, Joint Committee on Taxation,
Estimates of Federal Tax Expenditures for Fiscal Years 2020-2024,
116th Cong., 2nd sess., November 5, 2020, JCX-23-20.
Notes: 2020 data are presented instead of 2018 data, given that 2020 is the most recent tax year completed.
However, the 2018 distribution is nearly identical to the 2020 distribution.
The lower itemization rate and the fact that higher-income homeowners have larger mortgage
balances on average means that the mortgage interest deduction’s benefits disproportionately
accrue to taxpayers at the upper end of the income distribution (se
e Table 1), to a greater degree
than under prior law. However, this does not necessarily mean that homeowners who no longer
claim the mortgage interest deduction wil pay higher taxes since the increased standard
deduction and other TCJA changes may more than compensate for the loss of the deduction.
Homeownership Rates
Because the mortgage interest deduction is only available to homeowners, geographic variation in
homeownership rates wil natural y contribute to geographic variation in the distribution of the
deduction’s benefits
. Figure 7 shows that homeownership rates varied across states, from a low
of 42.3% in DC to a high of 72.5% in Minnesota in 2018.11 Homeownership rates appeared to be
lowest in several states that have concentrations of their populations in relatively higher cost of
living areas, such as New York and California, and highest in less densely populated and lower
cost of living areas, such as portions of New England and the Midwest, Delaware, Idaho, South
Carolina, Utah, and Wyoming.
Homeownership rates changed very little immediately following the TCJA. The overal
homeownership rate in 2016 was 63.1%, compared to 63.9% in 2018. This is perhaps not
surprising given the transaction costs associated with becoming a homeowner and the size of the
11 Homeownership rates displayed in Figure 7 may be below average historical levels in some states that were
particularly hard hit by the Great Recession.
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investment involved. It can take a number of years for households to adjust to changes that affect
the cost of homeownership. Even with a number of years of data, it can be difficult to isolate the
impact of any change because of other variables. For example, the homeownership rate began to
slightly increase before the COVID-19 outbreak, then appeared to accelerate as the virus spread.
In the third quarter of 2020 (most recent data), the homeownership rate was 67.4%.12 However,
homeownership data may reflect collection issues encountered during the COVID-19 pandemic.
On March 20, 2020, the Census Bureau suspended in-person interviews, and it did not fully
reintroduce them until September 2020. Although the bureau explained it had reweighted its
sample to reflect lower response rates, it also cautioned researchers that homeownership rate
estimates could be impacted.13 In the last quarter before the pandemic—the fourth quarter of
2019—the homeownership rate was 65.1%. An increase in homeownership would increase the
overal mortgage interest deduction expenditure and could impact the geographic distribution. It
remains to be seen how the pandemic wil impact the geographic distribution of homeownership
and, in turn, the geographic distribution of the mortgage interest deduction.
Figure 7. Homeownership Rate by State, 2018
Source: CRS estimates using the U.S Census Bureau’s 2018 American Community Survey.
Notes: The homeownership rate was computed as owner-occupied units divided by total occupied units, see
https://www.census.gov/housing/hvs/definitions.pdf.
Al else equal, states with higher homeownership rates should expect to see higher MID claims
rates because more taxpayers would be eligible for the deduction. It is less clear how wel
variation in the homeownership rate explains variation in the average amount of interest
12 See, U.S. Census Bureau, Homeownership Rate for the United States [RHORUSQ156N], retrieved from FRED,
Federal Reserve Bank of St. Louis, https://fred.stlouisfed.org/series/RHORUSQ156N, February 1, 2021.
13 U.S. Census Bureau,
Frequently asked questions: The impact of the coronavirus (COVID-19) pandemic on the
Current Population Survey/Housing Vacancy Survey (CPS/HVS) , https://www.census.gov/housing/hvs/files/qtr320/
impact_coronavirus_20q3.pdf.
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homeowners deduct or the average tax savings realized. Two states could have different
homeownership rates but have similar average home prices and incomes, resulting in
homeowners in both states deducting similar amounts of interest on average. Of course, al else is
not equal in reality and other factors influencing the claims rate may also interact with the
decision to become a homeowner, which in turn wil influence how many people benefit from the
deduction.
Home Prices
Area home prices contribute to the geographic variation in the mortgage interest deduction data.
Homeowners are more likely to claim the deduction in higher-priced areas because higher home
prices general y require larger mortgages, and hence larger amounts of deductible interest,
leading to larger average benefits from the deduction. Thus, homeowners in two different states
whose situations are otherwise identical except for the prices of their homes wil realize different
benefits from the deduction. Home prices are typical y lower in less-populated markets than in
densely populated areas and metropolitan markets.14 Accordingly, higher average home prices
along the East and West Coasts likely explain some of the concentration of mortgage interest
deduction benefits in these areas.
State and Local Taxes
Variation in state and local taxes, particularly state income and property taxes, likely contributes
to variation in the mortgage interest deduction data.15 Homeowners can only claim the mortgage
interest deduction if they itemize their deductions. An individual wil only itemize if his or her
itemized deductions exceed the standard deduction. As state and local income and property taxes
increase, al else equal it becomes more likely that homeowners wil itemize and claim the
mortgage interest deduction. Nine states currently have no broad-based income tax: Alaska,
Florida, Nevada, New Hampshire, South Dakota, Tennessee, Texas, Washington, and Wyoming.
These states account for roughly 21% of al homeowners in the United States, with Florida and
Texas combined accounting for 14% of al homeowners.
Incomes
Area incomes also influence the decision to claim the deduction. Higher area incomes wil
support higher home prices, which implies larger mortgages and higher interest payments. But
higher incomes also imply that the same dollar of mortgage interest deducted wil be more
valuable than the same dollar deduction at a lower income level. Thus, al else equal, markets
with higher incomes should be expected to have a higher MID claim rate.
Policy Options and Considerations
Congress has a number of options regarding the mortgage interest deduction. It is important to
note that any change to the mortgage interest deduction would likely require careful consideration
of how to transition to the new policy so as to minimize disruptions to the housing market and
14 Home prices can vary greatly within a state. Other factors that influence the decision to claim the mortgage interest
deduction can also vary within states. T his is one of the reasons it is particularly difficult to use state -level data to
isolate the various factors’ effects on the decision to claim the deduction.
15 For more on state and local taxes, CRS Report R46246,
The SALT Cap: Overview and Analysis, by Grant A.
Driessen and Joseph S. Hughes.
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overal economy. Depending on its design, a policy modification could result in a more evenly
distributed benefit to homeowners, both geographical y and across incomes.
Retain the Current Deduction
One option available to Congress is to retain the deduction in its current form. This would require
legislative action because the deduction is scheduled to revert to the limits in place prior to TCJA
after 2025. In other words, beginning in 2026—absent any legislative action—interest wil be
deductible on the first $1 mil ion of combined (first and second home) acquisition debt, plus
interest on $100,000 of home equity debt. Retaining the deduction in its current form would
prevent the revenue loss associated with al owing reversion to the pre-TCJA rules.
Leaving the mortgage interest deduction unaltered would result in continued differences across
states in the deduction’s beneficiaries. States with higher homeownership rates, home prices, and
average incomes would continue to benefit the most on average. This could be of concern to
those who view tax expenditures as government spending administered via the tax code because
the spending would continue to be distributed unevenly (in per capita terms). If Congress decides
to assist homeowners via the tax code, several alternatives to the mortgage interest deduction may
accomplish that objective in a more geographical y equitable, and possibly more efficient,
manner.16
Eliminate the Deduction
Alternatively, Congress could eliminate the mortgage interest deduction. This option can be
evaluated along several dimensions, starting first with its effect on the tax treatment of taxpayers.
The variations in claim rates and benefit values documented in this report suggest that eliminating
the deduction could help promote more uniform tax treatment across taxpayers. Eliminating the
mortgage interest deduction would result in two homeowners who are equal y situated in terms of
financial resources but located in different states being treated more equal y for tax purposes. For
example, two homeowners with similar incomes and mortgages may benefit differently from the
current mortgage interest deduction if one lives in a state with an income tax (and claims the
SALT deduction) and another does not. Eliminating the deduction would also result in equal y
positioned homeowners and renters being treated similarly by the tax code.
Eliminating the deduction can also be evaluated by its effect on economic performance or its
contribution to improving economic efficiency. Eliminating the deduction could improve the
economy’s overal performance if the deduction is currently leading labor and capital to be
al ocated to less productive uses in the owner-occupied housing sector. A number of studies have
found that owner-occupied housing is general y taxed favorably compared to other sectors of the
economy.17 Eliminating the deduction would be a step toward creating more uniformity in the tax
16 For example, a homebuyer tax credit of a fixed amount would provide the same benefit (in dollar terms) to all buyers
regardless of location. As another example, a tax-preferred savings account with a contribution limit that could be used
to purchase a home could be more geographically equitable, though this would depend on its specific design. T he
benefit of a savings account is that it would address the primary barrier to homeownership, which is the down payment
requirement. However, this could come at the expense of some households being less financially diversified than
portfolio theory recommends.
17 See, for example, CRS Report RL34229,
Corporate Tax Reform: Issues for Congress, by Jane G. Gravelle
Corporate
Tax Reform : Issues for Congress, by Jane G. Gravelle; A Joint Report by T he White House and the Department of the
T reasury,
The President’s Fram ework For Business Tax Reform , February 2012, http://www.treasury.gov/resource-
center/tax-policy/Documents/T he-Presidents-Framework-for-Business-T ax-Reform-02-22-2012.pdf; and
Congressional Budget Office,
Taxing Capital Incom e: Effective Rates and Approaches to Reform , October 2005,
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treatment of various sectors, which could assist in a more efficient al ocation of resources across
the economy. The increase in federal revenue from eliminating the deduction could also improve
the long-term federal budgetary situation, implying less reliance on deficits to finance spending.
Additional y, eliminating the deduction can be analyzed by examining the potential effect on the
homeownership rate. Economists have identified the high transaction costs associated with a
home purchase—mostly resulting from the down payment requirement—as the primary barrier to
homeownership.18 Because the deduction does not directly address the largest barrier to
homeownership and is not wel targeted to the group of potential homebuyers most in need of
assistance—lower-income households, which includes younger first-time buyers who do not
itemize—the effect of eliminating the deduction is likely to be relatively smal in the long run.19
While eliminating the deduction may lead to improved economic efficiency with potential y little
effect on the homeownership rate in the long run, careful consideration would stil be required to
minimize the likelihood of short-run negative consequences. For example, suddenly eliminating
the deduction could cause a drop in home ownership demand, leading to a decrease in home
prices. The decrease in home prices would impose capital losses on current owners and perhaps
produce a lock-in effect—current homeowners could be reluctant to sel at a loss. In addition, a
decrease in home prices could lead to a reduction in new home construction, a reduction in
homeowner wealth, and the possibility of increased defaults because some homeowners could
find themselves underwater on their mortgages (i.e., owing more on their mortgages than their
homes are currently worth). These three events could have a negative impact on the broader
economy in the short run.
Gradual y phasing out the deduction over time could help mitigate the negative consequences for
the economy and housing market. Researchers Steven Bourassa and Wil iam Grigsby propose
eliminating the deduction over a 15- to 20-year period with a fixed date after which the deduction
would no longer be available.20 For example, if January 1, 2041, were chosen as the cutoff date,
taxpayers who bought a home in 2021 could claim the deduction for 20 years, buyers in 2022
could claim the deduction for 19 years, and so on. Bourassa and Grigsby postulate that there
would be no effect on home demand or prices, although they present no modeling to support their
proposal. It is possible that gradual y eliminating the deduction could simply delay the negative
short-term consequences for the economy and housing market. This could happen if households
do not anticipate the full effects of the deduction’s elimination until closer to the chosen cutoff
date.
Limit the Deduction
As a middle option between retaining the deduction unaltered or eliminating it entirely, Congress
could choose to retain it but limit its scope. Currently, for mortgage debt incurred on or before
http://www.cbo.gov/sites/default/files/cbofiles/ftpdocs/67xx/doc6792/10-18-tax.pdf.
18 See, for example, Peter D. Linneman and Susan M. Wachter, “The Impacts of Borrowing Constraints,”
Journal of
the Am erican Real Estate and Urban Econom ics Association , vol. 17, no. 4 (Winter 1989), pp. 389-402; Donald R.
Haurin, Patrick H. Hendershott, and Susan M. Wachter, “ Borrowing Constraints and the T enure Choice of Young
Households,”
Journal of Housing Research, vol. 8, no. 2 (1997), pp. 137-154; and Mathew Chambers, Carlos Garriga,
and Donald Schlagenhauf, “ Accounting for Changes in the Homeownership Rate,”
International Econom ic Review,
vol. 50, no. 3 (August 2009), pp. 677 -726.
19 For more in-depth analysis and discussion of the mortgage interest deduction’s effects on homeownership, see CRS
Report R41596,
The Mortgage Interest and Property Tax Deductions: Analysis and Options, by Mark P. Keightley.
20 Steven C. Bourassa and William G. Grigsby, “Income T ax Concessions for Owner -Occupied,” Housing Policy
Debate, vol. 11, no. 3 (2000), pp. 521-546.
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December 15, 2017, the combined mortgage limit is $1 mil ion ($500,000 for married filing
separately). For mortgage debt incurred after December 15, 2017, the deduction is limited to the
interest incurred on the first $750,000 ($375,000 for married filing separately) of combined
mortgage debt.
To better target the deduction to those who may need homeownership assistance, Congress could
limit it to interest paid on a mortgage amount that more closely resembles that of a first-time
homebuyer. In 2009, the Congressional Budget Office (CBO) estimated the revenue effect of
gradual y reducing the maximum mortgage amount on which interest can be deducted from its
then $1.1 mil ion cap to $500,000.21 The CBO option would not have taken effect for four years
(i.e., 2013 at the time the report was published) and would have decreased the maximum
mortgage amount by $100,000 annual y until it reached $500,000. CBO estimated this option
would raise a total of $41.4 bil ion between 2013 and 2019.
Another option would be to leave the maximum mortgage amount unchanged, but limit the
amount of interest that could be deducted. For example, the amount of interest that a taxpayer
may deduct could be limited based on their adjusted gross income (AGI) such that low- and
moderate-income homeowners could deduct a greater share of their mortgage interest.
Limiting the deduction in this way would likely help reduce interstate variation. As discussed, a
portion of the variation is attributable to differences across states in income levels. States with
higher average incomes should, al else equal, expect to benefit more from the deduction because
higher-income households are more likely to itemize, higher incomes can support larger
mortgages, and higher incomes imply a higher deduction value (i.e., reduced taxes) per dollar
deducted. Limiting the amount of interest that could be deducted would be expected to decrease
the variation to some degree, although deductions in general wil typical y display some variation
simply because they increase in value as incomes increase.
Replace the Deduction with a Credit
Congress could also choose to replace the mortgage interest deduction with a tax credit. The
current deduction tends to provide a proportional y larger benefit to higher-income homeowners
because they buy more expensive homes and are subject to higher marginal tax rates. The
requirement that homeowners itemize their tax returns also limits the number of owners who
receive the tax benefit. A tax credit for mortgage interest could provide a benefit to more
homeowners because itemization would no longer be required. A credit, unlike the current
deduction, would have the same dollar-for-dollar value to a homeowner regardless of income,
creating a more consistent rate of subsidization across homeowners. Making the tax credit
refundable would help it reach lower-income homeowners.
Over the years, several mortgage interest tax credit options have been proposed. Five of the more
prominent ones are listed below. Al five would limit the deduction to a taxpayer’s principal
residence. Four out of the five would al ow a 15% credit rate. Three of the five credit options
would be nonrefundable. Two of the options would limit the size of the mortgage eligible for the
credit to $500,000, while one would limit eligible mortgages to no greater than $300,000 (with an
inflation adjustment). Another option would limit the maximum eligible mortgage to 125% of the
area median home price. Final y, one would place no cap on the maximum eligible mortgage, but
would limit the maximum tax credit to $25,000.
21 Congressional Budget Office,
Budget Options Volume 2, August 2009, p. 189, http://www.cbo.gov/ftpdocs/102xx/
doc10294/08-06-BudgetOptions.pdf.
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CBO, in its 2016
Options for Reducing the Deficit report, presented the option of
converting the mortgage interest deduction to a 15% nonrefundable tax credit.22
The credit would be restricted to a taxpayer’s primary residence. No credit would
be al owed for interest associated with home equity loans. Under this option, the
deduction would stil be available for five years as the credit is phased in.
Simultaneously, the maximum eligible mortgage amount would be reduced to
$500,000 during the phase in. After five years, the credit could only be claimed
on mortgage amounts up to $500,000. A similar option was presented by CBO in
2009 and 2013.23
The American Enterprise Institute’s Alan Viard proposed converting the
deduction into a 15% refundable tax credit.24 The credit would be limited to the
interest on the first $300,000 of mortgage debt (in 2013 dollars) associated with
one’s primary residence (second homes and home equity debt would be
excluded). The qualifying mortgage amount would be adjusted annual y for
inflation. Homeowners could stil claim the deduction but only at 90% of its
current value, decreasing by 10% annual y. A homeowner could switch to the tax
credit regime at any time.
President Obama’s National Commission on Fiscal Responsibility and Reform
recommended replacing the mortgage interest deduction with a nonrefundable
credit equal to 12% of the interest paid on mortgages of $500,000 or less.25 The
credit would be restricted to a taxpayer’s primary residence. No credit would be
al owed for interest associated with home equity loans.
The Bipartisan Policy Center’s Debt Reduction Taskforce, cochaired by former
Senator Pete Domenici and former CBO Director Alice Rivlin, proposed a 15%
credit for up to $25,000 of interest paid on a mortgage associated with a principal
residence—interest paid on home equity loans and second homes would be
ineligible.26 The tax credit would be refundable, which would help lower-income
homeowners benefit from it. The proposed credit would be administered via
mortgage lenders, who would apply for the credit and transfer it to homeowners
by lowering their interest payments in amounts equal to the credit.
22 Congressional Budget Office,
Options for Reducing the Deficit: 2017 to 2026, December 2016, p. 136,
https://www.cbo.gov/system/files/2018-09/52142-budgetoptions2.pdf. T he two most recent CBO reviews of options for
reducing the deficit included eliminating itemized deductions across the board, but did not include an option
specifically targeted at the mortgage interest deduction. See Congressional Budget Office,
Options for Reducing the
Deficit: 2019 to 2028, December 2018, https://www.cbo.gov/system/files/2019-06/54667-budgetoptions-2.pdf; and
Congressional Budget Office,
Options for Reducing the Deficit: 2021 to 2030, December 2020, https://www.cbo.gov/
system/files/2020-12/56783-budget-options.pdf.
23 Congressional Budget Office,
Options for Reducing the Deficit: 2014 to 2023, November 2013, p. 115,
https://www.cbo.gov/sites/default/files/cbofiles/attachments/44715-OptionsForReducingDeficit -3.pdf; and U.S.
Congress, Congressional Budget Office,
Budget Options Volum e 2, August 2009, p. 187, http://www.cbo.gov/ftpdocs/
102xx/doc10294/08-06-BudgetOptions.pdf.
24 Alan D. Viard, “Replacing the Home Mortgage Interest Deduction,” in
15 Ways to Rethink the Federal Budget, ed.
Michael Greenstone et al. (T he Hamilton Project, 2013), pp. 45 -49.
25 T he National Commission on Fiscal Responsibility and Reform,
The Moment of Truth, December 2010, p. 31,
http://www.fiscalcommission.gov/sites/fiscalcommission.gov/files/documents/T heMomentofTruth12_1_2010.pdf.
26 T he Debt Reduction T ask Force,
Restoring America’s Future: Reviving the Economy, Cutting Spending and Debt,
and Creating a Sim ple, Pro-Growth Tax System , Bipartisian Policy Center, November 2010, pp. 35 -36,
http://www.bipartisanpolicy.org/sites/default/files/FINAL%20DRT F%20REPORT %2011.16.10.pdf .
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In 2005, President George W. Bush’s Advisory Panel on Federal Tax Reform
(Tax Reform Panel) also proposed replacing the mortgage interest deduction with
a credit.27 Specifical y, the Tax Reform Panel proposed a tax credit equal to 15%
of mortgage interest paid. Under the proposal, the credit would be restricted to a
taxpayer’s primary residence. The size of the mortgage for which the interest
credit could be claimed would be limited to 125% of the median home price in
the taxpayer’s region. It appears from the panel’s report that the credit would be
nonrefundable.
27 T he President’s Advisory Panel on Federal T ax Reform,
Simple, Fair, and Pro-Growth: Proposals to Fix America’s
Tax System , November 2005, http://www.treasury.gov/resource-center/tax-policy/Documents/Simple-Fair-and-Pro-
Growth-Proposals-to-Fix-Americas-T ax-System-11-2005.pdf.
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Appendix. Estimation Methodology
The estimates for the geographic distribution of the mortgage interest deduction tax expenditure
were produced using an approach developed by economist Martin A. Sullivan.28 Sullivan’s
method accounts for differences in incomes across states—and therefore, differences in tax
rates—and differences in the amount of interest deducted in each state. The two data sets needed
to carry out this methodology are:
Historic Tables 2 in IRS’s Statistics of Income, Individual Income Tax State
Data, 2016 and 2018 (https://www.irs.gov/statistics/soi-tax-stats-historic-table-2);
and
Tables 3 in U.S. Congress, Joint Committee on Taxation,
Estimates of Federal
Tax Expenditures for Fiscal Years 2016-2020, 115th Cong., 1st sess., January 30,
2017, JCX-3-17 and in U.S. Congress, Joint Committee on Taxation,
Estimates of
Federal Tax Expenditures for Fiscal Years 2018-2022, 115th Cong., 2nd sess.,
October 4, 2018, JCX-81-18 (https://www.jct.gov/).
The first step used in the analysis was to compute national “average marginal” tax rates for
various income groups. The tax rates were calculated by first consolidating the income classes
used by the JCT in its distributional estimates so that they matched the smal er number of income
classes in IRS’s Statistics of Income (SOI) data. Next, the JCT expenditure estimate for each
income class was divided by the amount of mortgage interest deducted in each income class as
reported in the SOI data. This produced an estimate of the national “average marginal” tax rate
for each income class.
For each state, these tax rates were then multiplied by the amount of mortgage interest deducted
in each respective income class and then summed. This produced an estimate of each state’s share
of the JCT’s mortgage interest deduction tax expenditure estimate.
Author Information
Mark P. Keightley
Specialist in Economics
28 Martin A. Sullivan, “Mortgage Deduction Heavily Favors Blue States,”
Tax Notes, January 24, 2011, pp. 364-367.
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Disclaimer
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