2024-09-02U.S. Excess Business Loss Limitation Introduction -- Based on TCJA and CARES
(1) |
The CARES Act retroactively delayed TCAJ effective date The excess business loss limitations were originally enacted as part of the TCJA in 2017 and applied beginning with the 2018 tax year, the CARES Act retroactively delayed their effective date. Under the CARES Act, the excess business loss limitations do not apply to tax years 2018, 2019, or 2020; instead, they become effective in tax year 2021. The TCJA's net operating loss (NOL) limitations were also retroactively delayed under the CARES Act. Losses generated in tax years 2018, 2019, and 2020 can still be carried back and NOLs carried forward to these years are not subject to the 80 percent limitation. |
(2) |
The CARES Act made technical corrections to the calculation of the excess business loss (applicable beginning with the 2021 tax year) (a) Clarification that performing services as an employee (e.g., W-2 wages) are not business income for purposes of the excess business loss limitation. (b) Deductions under §172 and §199A are not taken into account in determining the amount of a taxpayer's deductions. (c) Net capital gains (but not losses) attributable to a trade or business are taken into account when calculating excess business loss but they will be limited to the taxpayer's overall capital gain net income. |