New IRS guidance on credits for sequestration of carbon John R. Lehrer II, Poe Leggette
By: Lehrer, John R
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Contributor(s): Leggette, Poe
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Material type: 





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OP 235/2021/38/4-2 The American Rescue Plan Act and State tax cuts | OP 235/2021/38/4-3 Accounting and tax issues in applying tax benefits to corporate investments | OP 235/2021/38/4-4 News flash | OP 235/2021/39/1-1 New IRS guidance on credits for sequestration of carbon | OP 235/2021/39/1-2 Hong Kong’s 0 percent tax concession for carried interest | OP 235/2021/39/1-3 Investment efficiency, tax avoidance, and external audit | OP 235/2021/39/1-4 Taxable advance refundings |
Resumen.
The Biden Administration and many other governments, scientists, companies, and concerned individuals are increasingly focused on worldwide environmental issues regarding carbon dioxide and the need to reduce the amount present in the atmosphere. The United States offers incentives, in the form of tax credits, to sequester carbon. The complex requirements to claim these tax credits are set forth in Internal Revenue Code Section 45Q and Treasury regulations promulgated thereunder. Additional guidance has been issued from time-to-time including in recently issued Revenue Ruling 2021-13. The Biden Administration has proposed further modifications to the Section 45Q provisions which will, if enacted, further subsidize carbon sequestration efforts and developer and investor interest in such projects.
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