Recognizing the importance of stepped-up basis under section 1014 of the Internal Revenue Code of 1986 in preserving family-owned farms and small businesses.
Bill journey · stage 2 of 5
Under committee review
What it doesSummary introduced in house (Mar 10, 2025)
This resolution supports preserving the stepped-up basis of certain inherited assets (such as land, equipment, or buildings), opposes any efforts to impose new taxes on family farms or small businesses, and recognizes the importance of generational transfers of farm and family-owned businesses.
As background, the basis for federal tax purposes of certain inherited assets is reset (or stepped up) from the original cost basis to the fair market value of the asset on the date of the previous owner’s death. Thus, any gain or loss on the subsequent sale of an inherited asset generally is calculated based on the asset’s stepped-up basis (and not the original cost basis).
What just happenedMar 10, 2025
Referred to the House Committee on Ways and Means.
Who’s behind it
- Introduced in HouseMar 10, 2025
- Mar 10, 2025IntroReferralH11100
Referred to the House Committee on Ways and Means.
Ways and Means Committee - Mar 10, 2025IntroReferralH11100
Submitted in House
- Mar 10, 2025IntroReferral1025
Submitted in House