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IRS to Seek Comment on Key Issues to be Interpreted in Section 45Q Tax Credit

By David S. Lowman, Jr. & Frederick R. Eames on May 8, 2019
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The Department of Treasury and Internal Revenue Service have released Notice 2019-32 seeking comment on key issues to be interpreted in the Section 45Q carbon oxide sequestration tax credit. Congress significantly enhanced the Section 45Q tax credit in the Bipartisan Budget Act of 2018, increasing the credit from $10/ton for CO2 used as a tertiary injectant (i.e., to produce oil or gas) to $35/ton; and increasing the credit for CO2 geologically stored but not used as a tertiary injectant from $20/ton to $50/ton. See our previous blog post here for additional details on the applicable credit amounts for projects before and after enactment of the Bipartisan Budget Act and other credit amount details.

 

Click here for the full details of the this Client Alert from Hunton Andrews Kurth.

  • Posted in:
    Tax
  • Blog:
    The Nickel Report
  • Organization:
    Hunton Andrews Kurth LLP

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