Changes Starting in 2024: Some Vehicle Criteria for 30D Electric Vehicle (EV) Tax Credits
The Issue: On Dec. 1, 2023, the IRS released proposed guidance on clean vehicle (EV) tax credits under section 30D of the Internal Revenue Code that may limit the availability of EV tax credits come Jan. 1, 2024.
For an EV to be eligible for up to $7,500 in 30D tax credits, it must meet certain criteria. Some of these criteria don’t change year after year, such as the MSRP caps or battery capacity requirements. But others do, such as the percentage requirements for North America- or free trade partner-sourced battery components and critical minerals which increase year over year for several years.
In addition, beginning in 2024, to remain eligible for 30D credits, an EV’s battery components cannot be sourced from “foreign entities of concern” (that is, entities unduly tied to China, Iran, North Korea, and Russia). Importantly, it is now clear that to be eligible for a tax credit, a qualifying EV must meet the requirements for the year in which the vehicle is delivered to the customer, not delivered to dealers.
What does this mean for dealers?
The problem is occurring for two reasons:
As a consequence, the OEMs are now racing to verify supplier compliance with the foreign entity restrictions, research VINs, and recertify eligible VINs for sales after Jan. 1, 2024, and those recertifications may not be completed by the new year.
The takeaway: The scope of the problem is unknown and how fast OEMs will be able to recertify eligible vehicles is also unknown. What we do know is:
Dealers should consult their manufacturer for brand-specific guidance regarding individual vehicle eligibility for the 30D tax credit.
Yes but: The foregoing issues will not affect 45W commercial clean vehicle tax credits, which is the credit used by lenders to fund EV lease incentive programs. There is, however, a potential separate issue regarding the viability of 45W credits for leasing in 2024. This latter issue is technical, and NADA is advocating the administration vigorously to continue the viability of this tax credit. We expect guidance on this issue by the end of the year, and we will keep our members posted.
Also of note: NADA has a compliance page on how to create electronic clean vehicle sales reports and facilitate the advance payment of tax credits for eligible clean vehicle sales that occur after Dec. 31, 2023. You can find it at nada.org/ev-incentives. You can watch the webinar here.