Choose Your Own Adventure: Farmouts of International Oil & Gas Interests and the AIPN 2019 Model Form -
When I teach about the Association of International Petroleum Negotiator’s (AIPN) Model International Farmout...more
7/17/2019
/ Assignments ,
Chapter 11 ,
Clean Energy ,
Commercial Bankruptcy ,
Default ,
Energy Sector ,
Liquid Natural Gas ,
Mexico ,
Natural Gas ,
Oil & Gas ,
Opportunity Zones ,
Post-Petition Interest ,
Renewable Energy ,
Secured Debt
The Qualified Opportunity Zone rules under Section 1400Z of the Internal Revenue Code permit certain investors to realize substantial tax benefits if they invest capital into federally-designated low-income communities known...more
6/24/2019
/ Capital Gains ,
Community Development ,
Deadlines ,
Electricity ,
Energy Sector ,
Energy Storage ,
Infrastructure Financing ,
Internal Revenue Code (IRC) ,
Investment Funds ,
Investment Opportunities ,
Investment Tax Credits ,
Joint Venture ,
Low Income Housing ,
Opportunity Zones ,
Production Tax Credit ,
Qualified Opportunity Funds ,
Real Estate Investments ,
Renewable Energy ,
Renewable Energy Incentives ,
Safe Harbors ,
Tax Cuts and Jobs Act ,
Tax Deferral
Managing Decommissioning Risks in Asian M&A Transactions -
By the end of 2026, approximately 134 producing Concessions and Production Sharing Contracts (each, a “PSC”) will have expired in South Asia. It is expected that 900...more
9/15/2017
/ Acquisitions ,
Asia ,
Cross-Border ,
Electricity ,
Force Majeure Clause ,
Greenhouse Gas Emissions ,
Hackers ,
IRS ,
Liquid Natural Gas ,
Mergers ,
Oil & Gas ,
Renewable Energy ,
Supply Chain ,
Take-or-Pay Contracts ,
Tax Reform
In Technical Advice Memorandum 2017-29-020 (July 21, 2017) (the “TAM”), the IRS denied claims by two tax equity investors (the “Investors” or each an “Investor”) for renewable energy tax credits on grounds that the...more