News & Analysis as of

Production Tax Credit 1603 Grants

Eversheds Sutherland (US) LLP

Too early: Court of Appeals for the Federal Circuit addresses placed in service requirement in rejecting claim for a renewable...

On February 24, 2022, the US Court of Appeals for the Federal Circuit (the Federal Circuit) issued its decision in Ampersand Chowchilla Biomass, LLC v. US, No. 2021-1385 (Fed. Cir. 2022). There, the Federal Circuit affirmed a...more

Mayer Brown

Tax Incentive Update: Federal Circuit Rules on Calculation of Basis for Energy Projects

Mayer Brown on

We have published our Legal Update on the Federal Circuit’s opinion in the Alta Wind case involving the calculation of eligible basis for 1603 Treasury cash grant purposes. The 1603 Treasury cash grant rules “mimic” the...more

McGuireWoods LLP

IRS Extends Safe Harbor for Completion of PTC-Qualifying Facilities to Jan. 2017

McGuireWoods LLP on

Yesterday, March 11, 2015, the Internal Revenue Service issued Notice 2015-25, which extends by one year certain tests taxpayers can use to establish that a qualifying renewable energy facility is eligible for the production...more

Foley & Lardner LLP

Developers Rejoice! IRS Issues “Begun Construction” Guidance

Foley & Lardner LLP on

On April 15, 2013, the IRS released Notice 2013-29 addressing the eligibility for certain alternative energy projects to qualify for the renewable electricity production tax credit (PTC) under section 45 of the Tax Code. This...more

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