Based on the latest information we’ve received regarding the One Big Beautiful Bill Act and the provision “No Tax on Car Loan Interest,” this recipe outlines our plans for assisting CUs with generating IRS Form 1098-LVI, starting with the 2026 tax year.
Previous Announcements
2025 Changes to Taxes on Car Loans – Eligibility Criteria & Updates from the IRS (11/25/2025)
2025 Changes to Taxes on Car Loans – Suggestions to Manage Qualifying Loans (10/2/2025)
2025 Changes to Taxes on Car Loans – Let Us Know What you Need from CU*Answers (8/27/2025)
Our Plan
A recipient of individual interest aggregating $600 or more for the calendar year on a passenger vehicle loan must file an information return reporting the receipt of interest. Under the current guidance, your monthly statements should cover the requirements for tax year 2025. (See our announcement sent Nov 25th for more on that.)
The draft we’ve seen of the new 1098-LVI tax form will require VIN, make, model and year of the vehicle, vehicle loan interest received, loan origination date, and the outstanding principal as of January 1st of the reporting year. We have all of these pieces in place via our account and collateral files. We also already take a snapshot of outstanding principal as of January 1st, every year, for all loans on our system (table name is MBAL1098).
We are currently working on specs for the changes we’ll need in order to produce these forms:
- Expand existing collateral files to add a new “Eligible for 1098-LVI” checkbox to the collateral screen (will apply to your “Vehicle” definition type codes only)
- New maintenance program to allow adjustments to 1098-LVI tax information file created at year-end
- Program changes necessary to produce 1098-LVI forms, both printed and electronic for archiving
- Program changes to include data when reporting to the IRS
- Add an option to Tool #916 Update Tax Form Handling Instructions so CUs can specify how they want these forms handled
The plan will be for this software to be released by the end of the 2026 calendar year and include these forms in our normal year-end tax reporting processes. Exact release date TBD but we will provide adequate time for CUs to flag the appropriate collateral records prior to year-end.
In the Meantime
We recommend you continue using some method to flag qualifying loans, whether that be via a Tracker note (using a special Memo Type code so they are easy to find), or a Custom Membership Field, or even just a separate Excel worksheet. That way when our changes are done, you’ll have something to work from to go through and flag the applicable collateral records.
Chef for this recipe: Karen Sorensen











