11 Jun 2025
Decoding IRC Section 144 and Tax-Exempt Bond Benefits
A small issue bond is one type of conduit bond, referred to as a private activity bond, which provides a loan to a nongovernmental third-party borrower for use in developing projects that benefit the public. Qualified small issue bonds are tax-exempt bonds issued as private activity bonds permitted under I.R.C. § 144(a) if the aggregate authorized face amount is $1 million or less. At least 95% of the net proceeds of the bonds must be committed to be used for the acquisition, construction, or improvement of land or property of a character subject to the allowance for depreciation in connection with a "manufacturing facility" (or to redeem part or all a prior bond issue which was itself a qualified small issue bond).
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- Federal Tax Legislation. The House of Representatives passes H.R.1, One, Big, Beautiful Bill Act, 215 to 214, and the bill now goes to the Senate.
- Business Entities. IRS and Treasury Department issue the 2025 inflation adjustment factor and reference price for determining the availability of the credit for renewable electricity production under I.R.C. § 45. Credit for Renewable Electricity Production and Publication of Inflation Adjustment Factor and Reference Price for Calendar Year 2025, 90 Fed. Reg. 22438 (May 27, 2025).
- Business Entities. IRS provides various prescribed rates for federal income tax purposes including the applicable federal interest rates, the adjusted applicable federal interest rates, the adjusted federal long-term rate, and the adjusted federal long-term tax-exempt rate as prescribed by I.R.C. § 1274. Rul. 2025-10.
- Tax Practice, Procedure, and Controversy. The Treasury Inspector General for Tax Administration released a report(May 2, 2025) on the IRS’ efforts to reduce its workforce through the deferred resignation program (DRP) and probationary employee terminations. As of March 2025, more than 11,000 IRS employees were either approved for the DRP or received termination notices during their probationary employment period. These departures represent 11% of the IRS’s workforce and impact certain business units more than others.
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