Event Details
United States
|
June 03, 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.
Speaker
Partner, Norton Rose Fulbright US LLP
David Burton advises clients on a wide range of US tax matters, with an emphasis on project finance and energy transactions.