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Cisco CEO John Chambers to be next Treasury Secretary spending $700 billion of US taxpayer money?

Cisco Supports $810 Billion Wall Street Bailout Legislation

According to Reuters, the US financial crisis and $700 billion Wall Street bailout bill in Congress has heightened interest in who would lead the US Treasury Department in the next administration, adding that Republican presidential candidate John McCain declined to say if he would consider asking current US Treasury Secretary Henry Paulson to stay.

John ChambersReuters continued that Cisco CEO John Chambers was the first name mentioned by John McCain when questioned in an interview regarding potential Treasury Secretaries in a new administration.

Additionally, Cisco is among a group of Silicon Valley tech companies urging passage by the U.S. House of Representatives of the $700 billion Wall Street Bailout, reports The San Jose Mercury News.

Cisco did not respond to telephone and email requests for comment.

Below is a detailed outline of the Wall Street Bailout proposal that was derived from a Senate copy obtained by The New York Times DealBook.

Alarmingly, the bailout includes the purchase of any financial instrument as determined by the Treasury Secretary, not just mortgages.

Based on the following US Senate Bailout proposal, as Treasury Secretary, John Chambers would rule the business world with $700 billion of US Taxpayer money to spend at his direction.

Emergency Economic Stabilization Act of 2008
Sec. 1. Short title and table of contents Page 2
Sec. 2. Purposes Page 3
Sec. 3. Definitions Page 4
Page 5

(9) TROUBLED ASSETS.—The term "troubled assets" means—

(A) residential or commercial mortgages and any
securities, obligations, or other instruments that are
based on or related to such mortgages, that in each case
was originated or issued on or before March 14, 2008, the
purchase of which the Secretary determines promotes
financial market stability; and

Page 6

(B) any other financial instrument that the Secretary,
after consultation with the Chairman of the Board of
Governors of the Federal Reserve System, determines the
purchase of which is necessary to promote financial market
stability, but only upon transmittal of such determination,
in writing, to the appropriate committees of Congress.
TITLE I—TROUBLED ASSETS RELIEF PROGRAM
Sec. 101. Purchases of troubled assets Page 6
Sec. 102. Insurance of troubled assets Page 10
Sec. 103. Considerations Page 13
Sec. 104. Financial Stability Oversight Board Page 15
Sec. 105. Reports Page 18
Sec. 106. Rights; management; sale of troubled assets; revenues and sale proceeds Page 22
Sec. 107. Contracting procedures Page 23
Sec. 108. Conflicts of interest Page 24
Sec. 109. Foreclosure mitigation efforts Page 25
Sec. 110. Assistance to homeowners Page 27
Sec. 111. Executive compensation and corporate governance Page 30
Sec. 112. Coordination with foreign authorities and central banks Page 33
Sec. 113. Minimization of long-term costs and maximization of benefits for taxpayers Page 33
Sec. 114. Market transparency Page 39
Sec. 115. Graduated authorization to purchase Page 40
Sec. 116. Oversight and audits Page 49
Sec. 117. Study and report on margin authority Page 57
Sec. 118. Funding Page 58
Sec. 119. Judicial review and related matters Page 58
Sec. 120. Termination of authority Page 61
Sec. 121. Special Inspector General for the Troubled Asset Relief Program Page 62
Sec. 122. Increase in statutory limit on the public debt Page 68
Sec. 123. Credit reform Page 68
Sec. 124. HOPE for Homeowners amendments Page 69
Sec. 125. Congressional Oversight Panel Page 70
Sec. 126. FDIC authority Page 76
Sec. 127. Cooperation with the FBI Page 84
Sec. 128. Acceleration of effective date Page 84
Sec. 129. Disclosures on exercise of loan authority Page 84
Sec. 130. Technical corrections Page 86
Sec. 131. Exchange Stabilization Fund reimbursement Page 88
Sec. 132. Authority to suspend mark-to-market accounting Page 88
Sec. 133. Study on mark-to-market accounting Page 89
Sec. 134. Recoupment Page 90
Sec. 135. Preservation of authority Page 91
Sec. 136. Temporary increase in deposit and share insurance coverage Page 91
TITLE II—BUDGET-RELATED PROVISIONS
Sec. 201. Information for congressional support agencies Page 93
Sec. 202. Reports by the Office of Management and Budget and the Congressional Budget Office Page 94
Sec. 203. Analysis in President’s Budget Page 96
Sec. 204. Emergency treatment Page 98
TITLE III—TAX PROVISIONS
Sec. 301. Gain or loss from sale or exchange of certain preferred stock Page 99
Sec. 302. Special rules for tax treatment of executive compensation of employers participating in the troubled assets relief program Page 102
Sec. 303. Extension of exclusion of income from discharge of qualified principal residence indebtedness Page 113
DIVISION B—ENERGY IMPROVEMENT AND EXTENSION ACT OF 2008

TITLE I—ENERGY PRODUCTION INCENTIVES

Subtitle A—Renewable Energy Incentives
Sec. 101. Renewable energy credit Page 115
Sec. 102. Production credit for electricity produced from marine renewables Page 120
Sec. 103. Energy credit Page 122
Sec. 104. Energy credit for small wind property Page 130
Sec. 105. Energy credit for geothermal heat pump systems Page 132
Sec. 106. Credit for residential energy efficient property Page 133
Sec. 107. New clean renewable energy bonds Page 141
Sec. 108. Credit for steel industry fuel Page 146
Sec. 109. Special rule to implement FERC and State electric restructuring policy Page 152
Subtitle B—Carbon Mitigation and Coal Provisions
Sec. 111. Expansion and modification of advanced coal project investment credit Page 154
Sec. 112. Expansion and modification of coal gasification investment credit Page 159
Sec. 113. Temporary increase in coal excise tax; funding of Black Lung Disability Trust Fund Page 161
Sec. 114. Special rules for refund of the coal excise tax to certain coal producers and exporters Page 167
Sec. 115. Tax credit for carbon dioxide sequestration Page 174
Sec. 116. Certain income and gains relating to industrial source carbon dioxide treated as qualifying income for publicly traded partnerships Page 180
Sec. 117. Carbon audit of the tax code Page 180
TITLE II—TRANSPORTATION AND DOMESTIC FUEL SECURITY PROVISIONS
Sec. 201. Inclusion of cellulosic biofuel in bonus depreciation for biomass ethanol plant property Page 181
Sec. 202. Credits for biodiesel and renewable diesel Page 182
Sec. 203. Clarification that credits for fuel are designed to provide an incentive for United States production Page 185
Sec. 204. Extension and modification of alternative fuel credit Page 187
Sec. 205. Credit for new qualified plug-in electric drive motor vehicles Page 190
Sec. 206. Exclusion from heavy truck tax for idling reduction units and advanced insulation Page 201
Sec. 207. Alternative fuel vehicle refueling property credit Page 202
Sec. 208. Certain income and gains relating to alcohol fuels and mixtures, biodiesel fuels and mixtures, and alternative fuels and mixtures treated as qualifying income for publicly traded partnerships Page 203
Sec. 209. Extension and modification of election to expense certain refineries Page 203
Sec. 210. Extension of suspension of taxable income limit on percentage depletion for oil and natural gas produced from marginal properties Page 204
Sec. 211. Transportation fringe benefit to bicycle commuters Page 205
TITLE III—ENERGY CONSERVATION AND EFFICIENCY PROVISIONS
Sec. 301. Qualified energy conservation bonds Page 207
Sec. 302. Credit for nonbusiness energy property Page 214
Sec. 303. Energy efficient commercial buildings deduction Page 218
Sec. 304. New energy efficient home credit Page 218
Sec. 305. Modifications of energy efficient appliance credit for appliances produced after 2007 Page 218
Sec. 306. Accelerated recovery period for depreciation of smart meters and smart grid systems Page 225
Sec. 307. Qualified green building and sustainable design projects Page 228
Sec. 308. Special depreciation allowance for certain reuse and recycling property Page 229
TITLE IV—REVENUE PROVISIONS
Sec. 401. Limitation of deduction for income attributable to domestic production of oil, gas, or primary products thereof Page 234
Sec. 402. Elimination of the different treatment of foreign oil and gas extraction income and foreign oil related income for purposes of the foreign tax credit Page 236
Sec. 403. Broker reporting of customer’s basis in securities transactions Page 244
Sec. 404. 0.2 percent FUTA surtax Page 259
Sec. 405. Increase and extension of Oil Spill Liability Trust Fund tax Page 259
DIVISION C—TAX EXTENDERS AND ALTERNATIVE MINIMUM TAX RELIEF
Sec. 1. Short title; amendment of 1986 Code; table of contents Page 261
TITLE I—ALTERNATIVE MINIMUM TAX RELIEF
Sec. 101. Extension of alternative minimum tax relief for nonrefundable personal credits Page 264
Sec. 102. Extension of increased alternative minimum tax exemption amount Page 264
Sec. 103. Increase of AMT refundable credit amount for individuals with longterm unused credits for prior year minimum tax liability, etc. Page 264
TITLE II—EXTENSION OF INDIVIDUAL TAX PROVISIONS
Sec. 201. Deduction for State and local sales taxes Page 267
Sec. 202. Deduction of qualified tuition and related expenses Page 268
Sec. 203. Deduction for certain expenses of elementary and secondary school teachers Page 268
Sec. 204. Additional standard deduction for real property taxes for nonitemizers Page 268
Sec. 205. Tax-free distributions from individual retirement plans for charitable purposes Page 269
Sec. 206. Treatment of certain dividends of regulated investment companies Page 269
Sec. 207. Stock in RIC for purposes of determining estates of nonresidents not citizens Page 270
Sec. 208. Qualified investment entities Page 270
TITLE III—EXTENSION OF BUSINESS TAX PROVISIONS
Sec. 301. Extension and modification of research credit Page 270
Sec. 302. New markets tax credit Page 273
Sec. 303. Subpart F exception for active financing income Page 273
Sec. 304. Extension of look-thru rule for related controlled foreign corporations Page 274
Sec. 305. Extension of 15-year straight-line cost recovery for qualified leasehold improvements and qualified restaurant improvements; 15-year straight-line cost recovery for certain improvements to retail space Page 274
Sec. 306. Modification of tax treatment of certain payments to controlling exempt organizations Page 278
Sec. 307. Basis adjustment to stock of S corporations making charitable concontributions of property Page 279
Sec. 308. Increase in limit on cover over of rum excise tax to Puerto Rico and the Virgin Islands Page 279
Sec. 309. Extension of economic development credit for American Samoa Page 279
Sec. 310. Extension of mine rescue team training credit Page 280
Sec. 311. Extension of election to expense advanced mine safety equipment Page 280
Sec. 312. Deduction allowable with respect to income attributable to domestic production activities in Puerto Rico Page 280
Sec. 313. Qualified zone academy bonds Page 281
Sec. 314. Indian employment credit Page 288
Sec. 315. Accelerated depreciation for business property on Indian reservations Page 288
Sec. 316. Railroad track maintenance Page 289
Sec. 317. Seven-year cost recovery period for motorsports racing track facility Page 290
Sec. 318. Expensing of environmental remediation costs Page 290
Sec. 319. Extension of work opportunity tax credit for Hurricane Katrina employees Page 290
Sec. 320. Extension of increased rehabilitation credit for structures in the Gulf Opportunity Zone Page 291
Sec. 321. Enhanced deduction for qualified computer contributions Page 291
Sec. 322. Tax incentives for investment in the District of Columbia Page 291
Sec. 323. Enhanced charitable deductions for contributions of food inventory Page 293
Sec. 324. Extension of enhanced charitable deduction for contributions of book inventory Page 294
Sec. 325. Extension and modification of duty suspension on wool products; wool research fund; wool duty refunds Page 295
TITLE IV—EXTENSION OF TAX ADMINISTRATION PROVISIONS
Sec. 401. Permanent authority for undercover operations Page 296
Sec. 402. Permanent authority for disclosure of information relating to terrorist activities Page 297
TITLE V—ADDITIONAL TAX RELIEF AND OTHER TAX PROVISIONS
Subtitle A—General Provisions
Sec. 501. $8,500 income threshold used to calculate refundable portion of child tax credit Page 297
Sec. 502. Provisions related to film and television productions Page 298
Sec. 503. Exemption from excise tax for certain wooden arrows designed for use by children Page 300
Sec. 504. Income averaging for amounts received in connection with the Exxon Valdez litigation Page 301
Sec. 505. Certain farming business machinery and equipment treated as 5-year property Page 307
Sec. 506. Modification of penalty on understatement of taxpayer’s liability by tax return preparer Page 308
Subtitle B—Paul Wellstone and Pete Domenici Mental Health Parity and Addiction Equity Act of 2008
Sec. 511. Short title Page 310
Sec. 512. Mental health parity Page 310
TITLE VI—OTHER PROVISIONS
Sec. 601. Secure rural schools and community self-determination program Page 344
Sec. 602. Transfer to abandoned mine reclamation fund Page 393
TITLE VII—DISASTER RELIEF
Subtitle A—Heartland and Hurricane Ike Disaster Relief
Sec. 701. Short title Page 394
Sec. 702. Temporary tax relief for areas damaged by 2008 Midwestern severe storms, tornados, and flooding Page 394
Sec. 703. Reporting requirements relating to disaster relief contributions Page 413
Sec. 704. Temporary tax-exempt bond financing and low-income housing tax relief for areas damaged by Hurricane Ike Page 413
Subtitle B—National Disaster Relief
Sec. 706. Losses attributable to federally declared disasters Page 419
Sec. 707. Expensing of Qualified Disaster Expenses Page 424
Sec. 708. Net operating losses attributable to federally declared disasters Page 427
Sec. 709. Waiver of certain mortgage revenue bond requirements following federally declared disasters Page 431
Sec. 710. Special depreciation allowance for qualified disaster property Page 433
Sec. 711. Increased expensing for qualified disaster assistance property Page 439
Sec. 712. Coordination with Heartland disaster relief Page 441
TITLE VIII—SPENDING REDUCTIONS AND APPROPRIATE REVENUE RAISERS FOR NEW TAX RELIEF POLICY
Sec. 801. Nonqualified deferred compensation from certain tax indifferent parties Page 442


How do you feel about John Chambers potentially being the next US Treasury Secretary with $700 billion of US Taxpayer money to spend at his direction?

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Good Resume Move For Chambers

Useful answer?
0

Received the following email message regarding John Chambers potentially being the next US Treasury Secretary:

--------------------------------

Chambers as US Treasury Secretary

Good resume move for Chambers.
Leaving Cisco on top to head his countries call.
Strong corporate background to help with the problems of a competitive USA.
Brings a different perspective than Wall Street. The world is global. In England today companies are leaving for Ireland because of lower taxes, "it’s just business." Chambers understands this model and could help the administration come to terms with how to help keep America competitive.
The World is going to the Internet, Chambers understands and could help the rest of the cabinet understand the impact of Moore’s Law on the average America. If you read anything from Bill Joy, (father of VI Editor, and SUN Micro co-founder) the future for the average America is rather bleak as they are replaced by computers for all sorts of tasks.
Old Cisco slogans emerge from Treasury, "Old World thinking versus New World thinking."
A router in every garage, and switch in every kitchen.

--------------------------------

Sincerely,

Brad Reese
http://www.BradReese.Com

GREAT!!!

Useful answer?
0

That would be good for our economy. Chambers would likely attempt to purchase China the first year and merge them into the tax base. I would guess that Germany or someother reasonably wealty economy would be next. :)

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