OBBBA Chapter 3 — Business & International Tax Changes (Sections 70301–70354)
Chapter 3 of One Big Beautiful Bill Act (OBBBA) (Sections 70301–70354) changes deductions, credits, interest limits, and international rules in ways that are easy to miss under deadline pressure. This page turns the law into timing checklists, election choices, and workpapers you can ship.
TL;DR – OBBBA Chapter 3
- §168(k) 100% bonus is permanent for qualified property placed in service after Jan 19, 2025.
- §179 limit $2.5M (phase-out from $4M), for property in service after Dec 31, 2024.
- §174A: Immediate expensing of domestic R&D (amounts after Dec 31, 2025).
- §168(n): New 100% deduction for qualified U.S. advanced-manufacturing builds (timing windows apply).
- §163(j): Permanent add-back to ATI + disallowed interest not capitalized (TYs after 12/31/2024).
- §48D: Advanced manufacturing credit 35%; site/infrastructure included; transfer/direct pay options.
- International: Simplified FTC baskets, FDEI/NCTI (§250) with QBAI 5%, CFC look-through permanent, day-count inclusions, repeal of one-month deferral, restored downward attribution, new §951B.
The pain you’re dealing with
- Timing pressure: Getting assets “placed in service” on the right side of Jan 19, 2025 for 100% bonus while clients keep moving install dates.
- Choice overload: Balancing §179 ($2.5M/$4M) vs bonus vs §168(n) without tripping basis reductions or state non-conformity.
- R&D whiplash: Re-wiring ledgers for §174A domestic expenses after 12/31/2025, coordinating with §41 so nothing double counts.
- Interest math drift: Rebuilding §163(j) with a permanent add-back and new “don’t capitalize disallowed” ordering.
- Documentation burden: Drafting clean election statements, policy addenda, and client memos that reviewers will actually sign off on.
- International remap: Collapsing FTC baskets, recalculating §250 (FDEI/NCTI) with QBAI = 5%, tracking day-count CFC inclusions, and explaining it all to finance.
- Client comms: Sending short, accurate emails that convert decisions into action—without a 20-page memo every time.
- Team ramp-up: Getting juniors productive on new rules before the next filing wave hits.
How can CPA Pilot help with this change?
- Generate election statements, client emails, and workpapers in minutes.
- Run bonus vs §179 vs §168(n) comparisons and §163(j) calculators with audit-friendly outputs.
- Build §250/FTC/CFC worksheets (including day-count) without reinventing the model each time.
Table of Contents
Quick-Start Checklist
- Time capex for 100% bonus: Assets “ready and available for use” after Jan 19, 2025. Consider the one-year 40%/60% election if smoothing income helps.
- Update §179 policy: Use $2.5M / $4M and model state conformity.
- Stack advanced manufacturing (§168(n) + §48D): Confirm construction windows, split qualifying vs non-qualifying areas, and model deduction-first vs credit-first.
- Stand up domestic R&D expensing (§174A): Tag “domestic” costs; choose expense now vs amortize ≥60 months; coordinate with §41.
- Rebuild §163(j): Permanent add-back to ATI, apply “capitalize allowed first; don’t capitalize disallowed.”
- Meals exception (remote fishing): Add a separate GL if relevant; capture location evidence.
- International reset: Two FTC baskets, §250 updates (FDEI/NCTI, QBAI 5%, direct-expense rule), CFC day-count tracking, §951B exposure.
- One-month deferral repeal: Calendars aligned; first post-repeal year ends Nov 30, 2025.
- Client comms: Send three quick emails: Capex timing, R&D expensing, International changes.
- Documentation kit: Elections, placed-in-service proof, §163(j) workbook, §250/FTC mapping, CFC day-count log.
What Changed (One-screen map)
- 70301 — §168(k) 100% bonus: Permanent; in service after Jan 19, 2025; one-year 40%/60% option.
- 70302 — §174A domestic R&D: Expense now; amounts after Dec 31, 2025; software included.
- 70303 — §163(j): Add-back permanent; floor-plan widened; TYs after 12/31/2024.
- 70304 — §45S FML credit: Base = wages or premiums; permanent TYs after 12/31/2025.
- 70305 — §274 meals (remote fishing): Narrow 100% exception after 12/31/2025.
- 70306 — §179: $2.5M limit; $4M phase-out; in service after 12/31/2024.
- 70307 — §168(n): 100% for U.S. advanced-manufacturing property; timing windows; basis reduction, no recapture.
- 70308 — §48D: 35% credit; site/infrastructure; transfer/direct pay; in service after 12/31/2025.
- 70309 — §142 spaceports: Tax-exempt bonds after 12/31/2024.
- 70311–70313: FTC simplification; deemed-paid 90%; up to 50% foreign-source on U.S.-made inventory via branches.
- 70321–70323: FDII/GILTI → FDEI/NCTI; §250 = 33.34%/40%; QBAI 5%; scope expands.
- 70331 — §59A BEAT → BEMT: 10.5% (post-2024); 12.5% (post-2026); more credits; COGS relief.
- 70341–70342: Disallowed interest not capitalized; ATI excludes §§951/951A/78 + related §245A/§250.
- 70351–70354: CFC look-through permanent; one-month deferral repealed; downward attribution restored + §951B; day-count inclusions.
U.S. Business Provisions (70301–70309)
§70301 — 100% Bonus Depreciation (IRC §168(k))
Answer: 100% bonus is permanent for qualified property placed in service after Jan 19, 2025.
Notes: ≤20-year MACRS, off-the-shelf software, some film/TV, certain used property; special plants (1/19/2025–12/31/2026); one-year 40%/60% option.
Plan: Time installs; compare with §179 and §168(n); consider smoothing with 40/60.
§70302 — Immediate Expensing for Domestic R&D (New §174A)
Answer: Expense domestic R&D (software included) after Dec 31, 2025 or amortize ≥60 months.
Plan: Tag domestic costs; coordinate with §41; document the annual election.
§70303 — Business-Interest Limitation (IRC §163(j))
Answer: Add-back of depreciation/amortization to ATI is permanent (TYs after 12/31/2024). Floor-plan widened to some towable RV inventory.
Plan: Rebuild model; check floor-plan eligibility; see coordination in §163(j) workflow.
§70304 — Employer Credit for Paid Family & Medical Leave (IRC §45S)
Answer: Permanent; credit can be based on wages or insurance premiums (TYs after 12/31/2025).
Plan: Model wage- vs premium-based; update policy; avoid §280C double dip.
§70305 — Business Meals: Remote-Fishing Exception (IRC §274)
Answer: Narrow 100% meals for specified vessels/facilities north of 50° N and outside MSAs after 12/31/2025.
Plan: Separate GL; capture location evidence.
§70306 — Higher §179 Expensing (IRC §179)
Answer: $2.5M max; $4M phase-out; indexed from 2024; in service after 12/31/2024.
Plan: Model §179 vs bonus vs §168(n); watch state conformity.
§70307 — Special 100% Deduction for U.S. Production (New §168(n))
Answer: Elect 100% deduction for qualified advanced-manufacturing property. Construction after 1/19/2025 and before 12/31/2028; in service by 1/1/2031.
Plan: Cost-seg to isolate qualifying areas; stack with §48D; basis reduction, no recapture.
§70308 — Advanced Manufacturing Investment Credit (IRC §48D)
Answer: 35% credit; includes site/infrastructure; transfer/direct pay; in service after 12/31/2025.
Plan: Compare deduction-first vs credit-first; consider selling the credit.
§70309 — Spaceports in Exempt Facility Bonds (IRC §142)
Answer: Spaceports can use tax-exempt bonds (bonds after 12/31/2024).
Plan: Explore muni financing options and lease structuring.
International Provisions (70311–70354)
§70311 — FTC Limitation Adjustments (IRC §904)
Answer: Only passive and general baskets remain; §250 deductions and related foreign taxes → general. TYs after 12/31/2025.
Plan: Remap baskets; rebuild FTC capacity.
§70312 — Deemed-Paid Credit for CFC Tested Income (IRC §§960 & 78)
Answer: Deemed-paid credit 90% (was 80%); conforming §78 gross-up; CFC TYs after 12/31/2025.
Plan: Recompute NCTI effective rates.
§70313 — Sourcing for U.S.-Produced Inventory (New §904(b)(6))
Answer: Up to 50% of income can be foreign-source if U.S.-produced inventory is sold abroad via a foreign branch; TYs after 12/31/2025.
Plan: Document production/location; expand FTC capacity.
§§70321–70323 — FDII/GILTI → FDEI/NCTI; §250 Mechanics
Answer: FDEI/NCTI names; §250 deductions 33.34%/40%; QBAI 5%; scope includes depreciable/intangible property and §367(d) deemed sales.
Timing: Property-sale scope on/after 6/16/2025; other §250 changes TYs after 12/31/2025.
Plan: Refresh §250 worksheets; tag direct expenses only (non-interest, non-R&E).
§70331 — BEAT → BEMT (IRC §59A)
Answer: Renamed; 10.5% (post-2024) and 12.5% (post-2026); more credits may offset; certain low-margin COGS excluded.
Plan: Re-run models; map credit stacking.
§§70341–70342 — §163(j) Coordination & ATI Clarification
Answer: Disallowed interest not capitalized under §263A; ATI excludes §§951, 951A (NCTI), 78 and related §245A/§250 deductions; TYs after 12/31/2024.
Plan: Update UNICAP and ATI workpapers.
§70351 — Permanent CFC Look-Through
Answer: §954(c)(6) made permanent.
Plan: Stabilize intercompany financing/licensing with substance.
§70352 — Repeal of One-Month Deferral (IRC §898)
Answer: Election repealed; first post-repeal year ends Nov 30, 2025.
Plan: Adjust calendars; plan short-year allocations.
§70353 — Downward Attribution Restored; New §951B
Answer: Restores §958(b)(4); adds §951B for foreign-controlled U.S. shareholders of foreign-controlled CFCs.
Plan: Ownership diagnostics; inclusion planning.
§70354 — Day-Count Pro-Rata; §956 Timing (IRC §951(a))
Answer: Include subpart F/NCTI by days owned; §956 requires ownership on the last CFC day; Treasury can force year-end close on certain transfers.
Plan: Track daily ownership; control intra-year transfers.
OBBBA 2025: Side-by-Side Comparison of Old vs New Tax Rules
| Provision | Before OBBBA (Old Law) | After OBBBA (New Act) | Impact |
|---|---|---|---|
| Qualified Business Income Deduction (QBI) | 20% deduction available through 2025; set to expire in 2026. | QBI deduction made permanent at 20% . | Sustained tax relief for pass-through businesses. |
| Bonus Depreciation | 40% in 2025, scheduled to reduce to 20% in 2026 and then eliminate by 2027. | 100% bonus depreciation for property placed in service after Jan 19, 2025, made permanent . | Accelerates tax benefits for investment. |
| Section 179 Expensing | $1.25M max, phase-out at $3.13M (2025 figures). | Raised to $2.5M max, phase-out at $4M, indexed for inflation . | Greater immediate expensing for capital purchases. |
| Standard Deduction | 2025: $15,000 (Single), $30,000 (Married Joint), indexed up. | 2025+: $15,750 (Single), $31,500 (Married Joint), indexed for inflation . | Slightly higher, with inflation adjustments. |
| Tax Brackets | TCJA rates (10%, 12%, 22%, 24%, 32%, 35%, 37%) ending after 2025. | Permanent TCJA brackets, expanded 10% bracket . | More income taxed at lower rates. |
| International Tax–Section 250/FDII/GILTI | More restrictive deductions and higher effective tax rates on overseas income. | Deductions and rates restructured for lower effective rates; FTC baskets simplified . | Reduces corporate tax burdens internationally. |
| SALT Deduction | $10,000 cap. | Increased to $40,000 (2026–29) . | Higher itemized deduction for state/local taxes. |
| Advanced Manufacturing Deductions/Credits | No special provision. | New 100% deduction (§168(n)) and 35% credit (§48D) for qualifying property . | Boost for manufacturing investment. |
| Estate/Wealth Transfer | Estate/gift exemption scheduled to shrink after 2025. | OBBBA reverses reduction; higher exemptions continue . | Better planning for wealth transfer. |
Implementation Playbook (How-To)
Fixed Assets & Elections (Bonus vs §179 vs §168(n))
Goal: Max year-1 deduction without state/FS surprises.
Steps: Tag placed-in-service; run three columns (bonus / §179 / §168(n)); choose mix; consider 40%/60% transitional option; generate elections & policy addendum.
Outputs: Election PDFs, side-by-side schedule, updated policy.
§163(j) Interest Limitation (Permanent Add-Back + Non-Capitalization)
Goal: Increase deductible interest; avoid trapping in inventory.
Steps: Recompute ATI; capitalize allowed interest first; don’t capitalize disallowed; check floor-plan; export carryforwards.
Outputs: §163(j) workbook, carryforward roll, capitalization memo.
Domestic R&D Playbook (§174A + §41)
Goal: Expense domestic R&D and keep §41 clean.
Steps: Tag domestic vs foreign; decide expense vs amortize; reconcile §174A to §41; update book-tax timing.
Outputs: §174A election memo; reconciled §41 binder; R&D schedule.
Advanced Manufacturing Stack (§168(n) + §48D 35%)
Goal: Pair a 100% deduction with a 35% credit—smartly.
Steps: Map qualifying areas; validate timing windows; model deduction-first vs credit-first; decide to transfer credit or retain; finalize elections.
Outputs: Allocation map; model; transfer/retention memo; support packet.
International Reset (FTC, §250 FDEI/NCTI, CFC Timing)
Goal: Align sourcing, baskets, §250 math; prevent timing misses.
Steps: Two baskets only; refresh §250 with 33.34%/40% and QBAI 5%; up to 50% foreign-source for U.S.-made inventory via branches; add CFC day-count tracking; assess §951B.
Outputs: Updated FTC/§250 workbook; sourcing memo; ownership/day-count logs
OBBBA Chapter 3 FAQs
Is the 100% bonus permanent now?
Yes—for qualified property placed in service after Jan 19, 2025.
When can I expense domestic R&D?
For amounts after Dec 31, 2025 under §174A (domestic only).
Does §163(j) still add back depreciation/amortization to ATI?
Yes—permanently for tax years after 12/31/2024.
What are the new §179 limits?
$2.5M limit; phase-out begins at $4M; indexed from 2024.
What is §168(n)?
A new 100% deduction for qualified U.S. advanced-manufacturing property within specified construction/service windows.
Can I stack §48D with bonus or §168(n)?
Often yes; model basis effects and consider credit transferability.
What changed for FDII/GILTI?
Renamed to FDEI/NCTI; §250 deductions 33.34%/40%; QBAI 5%; broader scope for certain property sales.
Did FTC baskets get simpler?
Yes—only passive and general remain, with §250 items/related foreign taxes in general.
Is CFC look-through permanent?
Yes—§954(c)(6) permanence stabilizes intercompany payments tied to active business.
What’s the new CFC timing rule?
Day-count inclusions; §956 requires ownership on the last CFC day; Treasury can force a year-end close on certain transfers.
Conclusion & Next Steps (with CPA Pilot)
Chapter 3 rewards good timing and clean tracking. Get assets in service on the right dates, tag domestic R&D, and refresh international models to capture year-1 deductions and credit benefits. CPA Pilot helps you do this fast, accurately, and at scale.
What to do now
- Lock asset timing & elections: Decide bonus vs §179 vs §168(n); generate election statements.
- Stand up R&D + interest workflows: Tag domestic R&D for §174A; rebuild §163(j) with the permanent add-back and non-capitalization ordering.
- Reset international sheets: Two baskets, §250 at 33.34%/40% with QBAI 5%, day-count for CFCs, and §951B diagnostics.
Why CPA Pilot
- Generate election statements, client memos, and workpapers in minutes.
- Run bonus vs §179 vs §168(n) and §163(j) calculators with audit-friendly outputs.
- Build §250/FTC/CFC worksheets (including day-count tracking) for cross-border clients.
This guide is practical information for professionals and not legal or tax advice. Always confirm Code/regs and state conformity for your client’s facts.
