Currents Podcast

Project finance, renewable energy and more

Ep102: Tax Equity and Carbon Sequestration

June 4, 2020 | By Keith Martin in Washington, DC, David Burton in New York and Amanda L. Rosenberg

How should carbon sequestration transactions be structured in light of proposed regulations the IRS issued on May 27 about claiming section 45Q tax credits? The IRS has disallowed over half the tax credits claimed so far. Keith Martin, David Burton and Amanda Rosenberg talk about three ways to structure such transactions and more.

Find the slides referenced in the episode here.

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Ep102: Tax Equity and Carbon Sequestration

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