An Analysis of the Special Depreciation Allowance Under the One Big Beautiful Bill Act
The Department of the Treasury and the Internal Revenue Service (IRS) recently issued Notice 2026-16 to provide crucial administrative guidance regarding the new temporary special depreciation allowance. The primary reason the IRS has issued this notice is to announce that the Treasury Department and the IRS "intend to issue proposed regulations (forthcoming proposed regulations) addressing the special depreciation allowance for qualified production property under § 168(n) of the Internal Revenue Code (Code)".
Because the enactment of the One, Big, Beautiful Bill Act (OBBBA) significantly altered depreciation timelines for certain property, tax professionals require immediate operational rules. Notice 2026-16 bridges the gap between the statutory enactment and the eventual publication of final Treasury Regulations by offering interim guidance upon which taxpayers may rely.
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