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2 months ago |
mondaq.com | Adam Schurle |Tori Roessler
FL Foley & Lardner More Foley & Lardner LLP looks beyond the law to focus on the constantly evolving demands facing our clients and their industries. With over 1,100 lawyers in 24 offices across the United States, Mexico, Europe and Asia, Foley approaches client service by first understanding our clients’ priorities, objectives and challenges.
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Jan 17, 2025 |
jdsupra.com | Tori Roessler |Adam Schurle
Last week, the Internal Revenue Service (“IRS”) and Department of the Treasury issued the highly anticipated final regulations for the Clean Electricity Production Tax Credit set forth in Section 45Y of the Internal Revenue Code of 1986, as amended (the “Code”) and the Clean Electricity Investment Tax Credit set forth in Section 48E of the Code (the “Final Regulations”), which may be found here.
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Oct 31, 2024 |
mondaq.com | Adam Schurle |Tori Roessler
FL
Foley & Lardner
More
Foley & Lardner LLP looks beyond the law to focus on the constantly evolving demands facing our clients and their industries. With over 1,100 lawyers in 24 offices across the United States, Mexico, Europe and Asia, Foley approaches client service by first understanding our clients’ priorities, objectives and challenges.
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Oct 30, 2024 |
jdsupra.com | Tori Roessler |Adam Schurle
The Internal Revenue Service (“IRS”) and Department of the Treasury last week released final regulations (the “Final Regulations”) relating to the advanced manufacturing production tax credit under Section 45X (“45X Credits”) of the Internal Revenue Code (the “Code”). The release of the Final Regulations follows the issuance of proposed regulations in December 2023 (the “Proposed Regulations”), which we described here. The final regulations are available here.
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Oct 29, 2024 |
natlawreview.com | John Surma |Ryan Swink |Adam Schurle |Tori Roessler
Skip to main content October 29, 2024 Volume XIV, Number 303 Legal Analysis. Expertly Written. Quickly Found.
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May 21, 2024 |
natlawreview.com | Tori Roessler
Late last week, the Internal Revenue Service (“IRS”) and Department of the Treasury issued highly anticipated guidance regarding the requirements to qualify for the domestic content bonus tax credit for investment tax credits under Sections 48(a)(12) and 48E(a)(3)(B) of the Code (the “ITC”) and production tax credits under Sections 45(b)(9) and 45Y(g)(11) of the Code (the “PTC”) (the “Domestic Content Bonus Requirements”) in IRS Notice 2024-41 (the “Notice”), which may be found here.
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May 6, 2024 |
mondaq.com | Adam Schurle |Tori Roessler
Late last week, the Internal Revenue Service
("IRS") and Department of the Treasury
released final regulations relating to transfers of
certain tax credits pursuant to Section 6418 of the Code (the
"Code" and, such rules, the
"Final Tax Credit Sale Rules"). The
release of the Final Tax Credit Sale Rules follows the issuance of
proposed regulations in June 2023, a comment period, and a public
hearing (the "Proposed Tax Credit Sale
Rules").
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May 1, 2024 |
jdsupra.com | Tori Roessler |Adam Schurle
Late last week, the Internal Revenue Service (“IRS”) and Department of the Treasury released final regulations relating to transfers of certain tax credits pursuant to Section 6418 of the Code (the “Code” and, such rules, the “Final Tax Credit Sale Rules”). The release of the Final Tax Credit Sale Rules follows the issuance of proposed regulations in June 2023, a comment period, and a public hearing (the “Proposed Tax Credit Sale Rules”).
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Mar 18, 2024 |
mondaq.com | Adam Schurle |Tori Roessler
The Internal Revenue Service ("IRS")
and Department of the Treasury earlier this week released final regulations relating to direct cash
payments for certain tax credits pursuant to Section 6417 of the
Internal Revenue Code (the "Code" and,
such rules, the "Final Direct Payment
Rules"). The release of the Final Direct Payment
Rules follows the issuance of proposed regulations in June 2023
(the "Proposed Direct Payment Rules").
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Mar 11, 2024 |
jdsupra.com | Tori Roessler |Adam Schurle
The Internal Revenue Service (“IRS”) and Department of the Treasury earlier this week released final regulations relating to direct cash payments for certain tax credits pursuant to Section 6417 of the Internal Revenue Code (the “Code” and, such rules, the “Final Direct Payment Rules”). The release of the Final Direct Payment Rules follows the issuance of proposed regulations in June 2023 (the “Proposed Direct Payment Rules”).