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TREAS/IRS RIN: 1545-BR94 Publication ID: 2026 
Title: ●Special Depreciation Allowance Under Section 168(n) 
Abstract:

Section 70307 of OBBBA, added new section 168(n), which allows taxpayers a 100 percent additional first-year depreciation deduction for qualified production property placed in service after July 4, 2025, and before January 1, 2031. Qualified production property is defined as that portion of any nonresidential real property: (a) to which section 168 applies, (b) which is used by the taxpayer as an integral part of a qualified production activity, (c) which is placed in service in the United States or any possession of the United States, (d) the original use of which commences with the taxpayer, (e) the construction of which begins after January 19, 2025, and before January 1, 2029, (f) which is designated by the taxpayer in an election under section 168(n), and (g) which is placed in service before January 1, 2031. A qualified production activity is the manufacturing, production, or refining of a qualified product which results in a substantial transformation of the property comprising the product.

Regulations will address certain issues involving the definition of qualified production property, the definition of qualified production activity, special rules involving property placed in service and disposed of in the same taxable year, redetermination of basis, like-kind exchanges and involuntary conversions, and depreciation recapture.

 
Agency: Department of the Treasury(TREAS)  Priority: Other Significant 
RIN Status: First time published in the Unified Agenda Agenda Stage of Rulemaking: Proposed Rule Stage 
Major: Undetermined  Unfunded Mandates: No 
EO 14192 Designation: Other 
CFR Citation: Not Yet Determined     (To search for a specific CFR, visit the Code of Federal Regulations.)
Legal Authority: 26 U.S.C. 168(n)(7)    Pub. L. 119-21, sec. 70307, One, Big Beautiful Bill Act    26 U.S.C. 7805   
Legal Deadline:  None
Timetable:
Action Date FR Cite
NPRM  07/00/2026 
Additional Information: REG-117057-25 Drafting attorney: Jeremy Pfeifer, (202) 317-4176 Reviewing attorney: Amy Wei, (202) 317-6528 Treasury attorney: Heather Harman, (202) 622-2623, Dan Penrith, (202) 679-2039 CC: ITA
Regulatory Flexibility Analysis Required: Undetermined  Government Levels Affected: None 
Small Entities Affected: Businesses  Federalism: No 
Included in the Regulatory Plan: No 
RIN Data Printed in the FR: No 
Agency Contact:
Jeremy Pfeifer
Attorney
Department of the Treasury
Internal Revenue Service
1111 Constitution Avenue NW,
Washington, DC 20224
Phone:202 317-4176
Email: jeremy.i.pfeifer@irscounsel.treas.gov