Event Details

États-Unis | 3 juin 2020

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. Join a conference call to talk through the various structuring options and where there are still unanswered questions.

Conférenciers

Personnes-ressources

Co-head of Projects, United States
Partner