Understanding the One Big Beautiful Bill: Implications for American Manufacturing
                         The One Big Beautiful Bill (OBBB), enacted on 7/4/25,  represents a comprehensive legislative initiative that’s poised to influence  the landscape of American manufacturing. This bill introduces a range of  policies that aim to support domestic production, competitiveness and  resilience of the U.S. industrial base. Below, we highlight several key tax  provisions expected to influence investment in American manufacturing:
The One Big Beautiful Bill (OBBB), enacted on 7/4/25,  represents a comprehensive legislative initiative that’s poised to influence  the landscape of American manufacturing. This bill introduces a range of  policies that aim to support domestic production, competitiveness and  resilience of the U.S. industrial base. Below, we highlight several key tax  provisions expected to influence investment in American manufacturing:
Bonus Depreciation Reinstated
The reinstatement of 100 percent bonus depreciation for  qualifying tangible property, such as machinery and equipment, allows  businesses to immediately deduct the full cost of these assets if placed in  service after 1/19/25. This provision can impact cash flow, potentially  encouraging companies to invest in modernization and expand their production  capacity.
Immediate R&D Expensing
Similarly, the immediate expensing of U.S.-based research  and development (R&D) costs for amounts paid or incurred after 12/31/24,  including retroactive relief for small and medium-sized enterprises, aims to  influence innovation and technological development. 
Equipment Costs: Section 179 Cap Increase
Additionally, the increased Section 179 expensing cap — now  up to $2.5 million, with a $4 million phase-out threshold — offers another  avenue for businesses to deduct the cost of equipment.
New: Full-Cost Deduction on Qualified Production  Property
A notable feature of the OBBB is the introduction of 100  percent depreciation specifically for qualified production property (QPP).  (Click here for more details on qualification criteria.) This provision allows  manufacturers to immediately deduct the full cost of new nonresidential real  property — i.e., any permanent structures — if the property is used as an  integral part of what the OBBB deems “qualified production activity” in the  United States. This includes the construction of new factories, the expansion  of existing production facilities, or significant improvements directly related  to the manufacturing, production, or refining of tangible personal property.  The ability to expense the entire cost of such properties in the year they are  placed in service can affect a company’s financial planning and investment decisions  regarding physical infrastructure.
Supply Chain Focus and Strategic Investments
The OBBB emphasizes strengthening domestic supply chains.  The bill includes provisions intended to incentivize reshoring production and  prioritizing U.S.-based sourcing, which could reduce reliance on foreign supply  chains.
Semiconductor Manufacturing
The OBBB modifies the Advanced Manufacturing Investment  Credit (Section 48D) established by the CHIPS Act. While the credit’s  expiration date for property whose construction begins after 2026 remains  unchanged, the OBBB increases the credit percentage from 25 to 35 percent for  property placed in service after 12/31/25. This credit applies to investments  in facilities that manufacture semiconductors or semiconductor manufacturing  equipment, aiming to spur domestic production of these critical components.
Energy Sector Adjustments
Regarding the energy sector, the OBBB implements changes to  certain clean energy tax credits from prior legislation. Notably, it  accelerates phase-outs for wind and solar projects and tightens domestic  content rules, but it continues to support areas like nuclear and geothermal  energy. It also extends the clean fuel production credit. These adjustments may  influence investment patterns within the energy sector, potentially redirecting  focus or altering the landscape for different energy technologies.
Overall Impact
The OBBB introduces a range of tax provisions and strategic  investments that could significantly influence American manufacturing. By  emphasizing domestic supply chains while altering the costs associated with  capital investment and R&D, the bill is positioned to affect job creation,  innovation and the overall competitiveness of U.S. industrial sectors. The  ultimate impact, however, will depend on the broader economic environment and  how U.S. businesses respond to these new incentives.
About the Author
 Anthony Licavoli is the director of tax consulting and part of Rehmann’s manufacturing group, which boasts specialists with experience investigating and analyzing incentives for manufacturers. He may be reached at llicavoli@rehmann.com.
Anthony Licavoli is the director of tax consulting and part of Rehmann’s manufacturing group, which boasts specialists with experience investigating and analyzing incentives for manufacturers. He may be reached at llicavoli@rehmann.com.
 Rehmann is an MMA Premium Associate Member and has been an MMA member company since July 2006. Visit online: rehmann.com.
Rehmann is an MMA Premium Associate Member and has been an MMA member company since July 2006. Visit online: rehmann.com.