Treasury and the IRS issued a highly anticipated notice of proposed rulemaking on the Section 45V Clean Hydrogen Production Tax Credit.
The Treasury Department’s continued issuance of timely guidance on the Section 48 ITC is fundamental to maximizing the IRA’s success.
This ACORE fact sheet details relevant areas of the guidance, which the Treasury Department will seek to finalize by fall 2024.
ACORE’s comments on the proposed Regulatory Capital Rule: Large Banking Organizations and Banking Organizations With Significant Trading Activity.
Tax equity is a critical financing source for clean energy projects. Many forecasters estimate that it will need to increase to over $50 billion.
On November 17, 2023, the Treasury Department released guidance in the form of a notice of proposed rulemaking (NPRM) on the Investment Tax Credit (ITC) for clean energy property pursuant to Section 48 of the Internal Revenue Code.
ACORE submitted comments in response to proposed regulations concerning the IRA’s prevailing wage and registered apprenticeship requirements.
On behalf of the undersigned organizations, we are writing to express our profound concerns about proposed bank regulatory capital requirements that threaten to derail the clean energy transition.
Celebrating the Inflation Reduction Act (IRA)’s anniversary, we reflect on the law’s transformative benefits and ACORE’s role in its enactment.
ACORE’s comments to the Treasury and IRS on the proposed regulations for the IRA’s direct pay and transferability provisions.