- •The U.S. Treasury and IRS clarified in interim guidance that CAMT does not apply to unrealized crypto gains.
- •The clarification addresses concerns that taxing paper gains could compel corporations to liquidate crypto assets for tax payments.
The U.S. Department of the Treasury and the Internal Revenue Service provided new direction on corporate taxation involving Bitcoin. They stated that companies will not face the Corporate Alternative Minimum Tax on paper gains from cryptocurrency holdings.
Corporate Alternative Minimum Tax originated from the Inflation Reduction Act of 2022. It imposes a 15% levy on financial statement income for corporations earning more than $1 billion yearly.
Under the updated rules, firms can omit unrealized profits and losses from digital assets when computing adjusted financial statement income. As a result, corporations only owe taxes when they actually sell or exchange their cryptocurrency, not from price changes alone.
Earlier, policymakers and industry groups worried about unintended consequences. They said taxing paper gains might push companies to sell off crypto assets to pay potential tax bills. Senator Cynthia Lummis approved of the clarification, noting its importance for enterprises holding Bitcoin as a treasury asset.
As a result of Treasury and IRS interim guidance issued yesterday, Strategy does not expect to be subject to the Corporate Alternate Minimum Tax (CAMT) due to unrealized gains on its bitcoin holdings. $MSTRhttps://t.co/Qlo9rHPR5J
— Strategy (@Strategy) October 1, 2025
Strategy benefits directly from this decision. The company, headed by co‑founder Michael Saylor, owns the biggest corporate stash of Bitcoin worldwide. After the news, Strategy announced it likely will not fall under the corporate minimum tax in 2026, reversing an earlier forecast. Its stock price climbed up to 3.7 percent in pre‑market activity Wednesday.
Strategy recorded an $8.1 billion unrealized profit in the first six months of 2025, alongside Bitcoin’s market ascent. Its total holdings are valued around $74.6 billion. The Treasury Department plans to draft updated rules that match this interim guidance. This approach seeks to support digital asset integration into American business finance, ensuring tax policy does not hinder technological progress.

