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List of Expiring Federal Tax Provisions 2025-2034

EXPIRING TAX PROVISIONS This column briefly explains what will happen if Congress takes no action to extend or modify the provisions & includes IRC Code Sec SUNSET
SUNSETTING AFTER 2025
Modification of Individual Tax Rates Sec 1(j). Top bracket would revert from 37% to 39% After 2025
Child Tax Credit Sec 24(h). Would revert to $1,000 from current $2,000 and other enhancements expire. After 2025
Premium Assistance Credit Enhancements Sec. 36B(b)(3)(A)(iii) and (c)(1)(E). After 2025
New Markets Credit Sec 45D(f)(1). Subject to carryover. No carryovers after 2030 After 2025
Employer Credit for Paid Family and Medical Leave  Sec 45S(i). The credit will expire. After 2025
Work Opportunity Credit Sec 51(c)(4). The credit will expire.  After 2025
Increase in exemption amount and phaseout threshold of individual AMT Sec 55. The exemption amount and phaseout threshold of individual AMT will revert to pre-TCJA amounts which are substantially lower and will trigger the AMT more frequently for lower income taxpayers. After 2025
Standard Deductions Sec 63(c)(7). Will revert to pre-2018 amounts adjusted for inflation, roughly half the current amounts. After 2025
Suspension of Tier 2 Miscellaneous Itemized Deductions Sec 67(g). Since TCJA miscellaneous deductions subject to the 2% of AGI floor haven’t been deductible. Sunsetting of this rule would restore deductions for employee business expenses, tax prep fees, legal fees, etc. After 2025
Suspension of limitation on itemized deductions Sec 68(f). The rule that limited itemized deductions to the lesser of 3% of AGI or 80% of those allowable for the year will return. After 2025
Exclusion from gross income of discharge of indebtedness on principal residence Sec 108(a)(1)(E). The exclusion of acquisition debt COD income of up to $750,000 ($375,000 MFS) will no longer apply. After 2025
Special rule for certain discharges of student loans Sec 108(f)(5). This provision applies to any loan provided expressly for post-secondary educational expenses, regardless of whether provided through the educational institution or directly to the borrower, if such loan was made, insured, or guaranteed by the U.S., DC, state, eligible education institution, etc. Will no longer apply after 2025. After 2025
Exclusion for certain employer payments of student loans Sec 127(c)(1)(B). Employer-Provided Educational Assistance funds will no longer be able to be used to make payments up to $5,250 towards an employee’s student loan debt. After 2025
Suspension of exclusion for reimbursement of bicycle commuting Sec 132(f)(8). Bicycle commuting would be reinstated as a qualified monthly transportation fringe benefit of $20 adjusted for inflation. After 2025
Suspension of exclusion for moving expense reimbursement Sec 132(g)(2). Would reinstate the exclusion for qualified moving expense reimbursement. After 2025
Suspension of deduction for personal exemptions Sec 151(d)(5). Personal exemption deduction and phaseouts for higher income taxpayers would return in 2026.  After 2025
Limitation on deduction for qualified residence interest, suspension of deduction for home equity interest Sec 163(h)(3)(F). Would revert loan limit to $1 Million for a combination of 1st and 2nd homes and would allow a Sch A home equity interest deduction on $100,000 of home equity debt. After 2025
Limitation on deduction for State, local, etc., taxes (SALT) Sec 164(b)(6). The $10,000 SALT limitation would be eliminated. After 2025
Personal casualty losses limited to Federally declared disaster areas. Sec. 165(h)(5). Personal casualty losses would again be deductible.  After 2025
Modification of rules relating to computation of wagering losses Sec 165(d). For 2018 through 2025 the term “losses from wagering transactions” includes any deduction otherwise allowable incurred in carrying on any wagering transaction. This would no longer apply. After 2025
Increase in percentage limitation on cash contributions to public charities Sec 70(b)(1)(G). The AGI limitation on cash charitable gifts will be reduced from 60% to 50%. After 2025
Suspension of deduction for moving expenses except for military Sec 217(k). Would reinstate the moving deduction.  After 2025
Deductibility of employer de minimis meals and related eating facility, and meals for the convenience of the employer. Sec. 274(o)). w/o Congressional action as of 2026, employer isn’t allowed any deduction. After 2025
Transfer of excess pension assets to retiree health and life insurance accounts Sec. 420(b)(4)). Does not require action on a tax return. After 2025
ABLE Account contribution eligibility for saver’s credit  Sec 25B(d)(1)(D). Contributions based on earned income of disabled taxpayer would no longer qualify for the saver’s credit. After 2025
ABLE Account - Rollovers from qualified tuition (Sec 529) programs permitted Sec 529(c)(3)(C)(i)(III). Rollovers to Sec 529 plans would no longer be allowed. After 2025
ABLE Account - Increase in contributions limit Sec 529A(b)(2)(B). The contribution limit would revert to pre-TCJA amounts.  After 2025
Increase in estate and gift tax exemption Sec 2010(c)(3)(C)). Would revert from $13.61 Million (2024) to $5.49 Million adjusted for inflation. After 2025
Qualified business income (QBI) deduction Sec 199A(i). Will end the 20% deduction for pass through businesses. Tax Year beginning after Dec. 31, 2025.
SUNSETTING AFTER 2026
Qualified Opportunity Fund investment to defer capital gain Sec 1400Z-2(a)(2)(B). Election to invest in QOF. December 31, 2026, is expiration date for election to invest
Saver’s Credit on elective deferrals and IRA contributions by certain individuals  Sec 25B. Elective deferrals will no longer be allowed. The current version of the Saver’s Credit available to low- and mid-income individuals will be replaced for contributions made after 2026 by a Retirement Savers Matching Contribution credit where the government will contribute the credit directly to the retirement plan. After 2026
Election of additional depreciation for certain plants bearing fruits and nuts Sec 168(k)(5)(A).   Subject to a phasedown in 2023-2026 - Sec. 168(k)(6)(C).  After 2026
SUNSETTING AFTER 2027
Expensing of certain costs of replanting citrus plants lost by reason of casualty Sec. 263A(d)(2)(C)(ii). Would no longer qualify for expensing. After 2027
Bonus Depreciation  Sec 168 - Phase-out 80% 2023, 60% 2024-25, 40% 2026, 20% 2027, 0% 2028. After 2027
SUNSETTING AFTER 2028
Limitation on excess business losses of non-corporate taxpayers  Sec 461(l). The limitation would no longer apply. After 2028
SUNSETTING AFTER 2029
Specified health insurance policy fee Sec 4375(e). Fee would no longer apply - (Not included in the BB of Taxes) Does not require action on a tax return. After Sept. 30, 2029
Self-insured health plan fee Sec 4376(e). Fee would no longer apply - (Not included in the BB of Taxes) Does not require action on a tax return. After Sept. 30, 2029
SUNSETTING AFTER 2032
Energy efficient home modifications credit Sec 25C(h). The credit would no longer apply.  After 2032
Credit for previously owned clean vehicles Sec. 25E(f). The credit would no longer apply.  After 2032
Credit for alternative fuel vehicle refueling property Sec. 30C(i). The credit would no longer apply. After 2032
Credit for clean vehicles Sec. 30D(h). The credit would no longer apply.  After 2032
Credit for construction of new energy efficient homes Sec. 45L(g). The credit would no longer apply. After 2032
Credit for qualified commercial clean vehicles Sec. 45W(g). The credit would no longer apply. After 2032
Credit for residential clean energy (includes Solar) Sec. 25D(h). Phase-out: 30% 2022-2032, 26% 2033, 22% 3034.  After 2034
RMD Starting Age of 73 Sec 401 - the age will increase to 75 beginning in 2033.  After 2032





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