Inflation Reduction Act of 2022

The Inflation Reduction Act of 2022 invests more than $400 billion in US spending on a range of climate change, healthcare, electric vehicle, and prescription drug pricing initiatives through a series of tax breaks and capital deployment. Among its most significant features, the act includes $369 billion dedicated to climate action through restructuring the eligibility and applicability of many clean energy tax credits. With a novel structure for the monetization of existing and new green technology tax credits, the Inflation Reduction Act and earlier federal legislation is poised to make substantial changes in climate change mitigation actions.

RECENT UPDATES

07/24/2024 - 5 Tips For Solar Cos. Navigating Big Shifts In US Trade Policy, Law360
Partner Carl Valenstein and associates Casey Weaver and Katelyn Hilferty co-authored a Law360 Expert Analysis article discussing recent US tariffs on the solar industry and their impacts on solar energy companies.

07/18/2024 - State of 2024 Energy Dealmaking: Midyear Report, Law360
Partner Laura Neumeister Wright spoke with Law360 about transactional trends in the energy industry from the first half of 2024. Laura discussed the increasing popularity around the Inflation Reduction Act’s transferability provisions and how they have become a leading driver of renewable energy project finance and development.

06/25/2024 - Energy Incentives for Climate-Friendly Hydrogen Fuel Cells Help Transform Transportation, Reuters
Partner Pam Wu authored an article for Reuters discussing the growing integration of hydrogen and fuel cell technologies in various industries, as part of their decarbonization efforts.

05/22/2024 - Elective Safe Harbor Released for IRA Domestic Content Tax Credit ‘Adder’
The US Department of Treasury and the IRS on May 16 released Notice 2024-41, which provides a new elective safe harbor that taxpayers may use to qualify for the domestic content bonus credit amount under Sections 45, 45Y, 48, and 48E of the Internal Revenue Code. Released over one year following earlier guidance, the Notice is likely to provide more certainty for taxpayers seeking to qualify for the domestic content bonus credit amount with respect to certain solar and onshore wind projects.

February 2024 - The Trends—and Traps—That Will Shape 2024
Over the course of 2024, the business world can anticipate an increasingly more complicated corporate environment. Read our high-level overview of some major trends and regulatory and legislative developments that are on the horizon.

01/30/2024 - Decarbonization Trends and Regs Are Shifting Corporate Priorities, Bloomberg Law
In a Bloomberg Law Insight, partners Casey August, Jane Accomando, and Levi McAllister examined developments on carbon emission reduction and reporting that will likely shape how US companies approach sustainability goals in 2024 and beyond.

01/25/2024 - Parsing Treasury's Proposed Clean Hydrogen Tax Credit Rules, Law360
Partners Casey August, Douglas Hastings, Kenneth Kulak, and Mark Lazaroff, and associates Andreas Andrews and Jared Sanders co-authored a Law360 Expert Analysis discussing the US Department of the Treasury and the Internal Revenue Service’s proposed regulations for the clean hydrogen tax credits under Sections 45V and 48 of the Internal Revenue Code, as enacted by the Inflation Reduction Act.

January 2024 - Innovation, Regulation, and Litigation: The Automotive Industry's Road to 2024
The automotive industry as we know it is rapidly transforming. From the proliferation of electric transportation and technological leaps in vehicle automation to increasingly complex regulations and expanding class action litigation—these developments have brought not only new legal challenges and considerations, but also opportunities for the sector. This report explores the impact of these and other developments on manufacturers, suppliers, and lenders and shared how the industry can adapt to these trends to take advantage of what lies ahead.

01/05/2024 - Treasury and IRS Publish Much-Anticipated Guidance on Clean Hydrogen Tax Credit
The Internal Revenue Service (IRS) and the US Department of the Treasury (Treasury) recently published proposed regulations (Proposed Regulations) setting forth rules applicable to the credit for the production of clean hydrogen and the election to treat clean hydrogen production facilities as energy property under Sections 45V and 48(a)(15) of the Internal Revenue Code (Code) enacted under the Inflation Reduction Act of 2022 (IRA).

01/03/2024 - Unpacking The Proposed Production Tax Credit Regulations, Law360
Partner Casey August and associate M. Jared Sanders co-authored an Expert Analysis for Law360 discussing the Internal Revenue Service and US Treasury Department’s proposed regulations regarding the advanced manufacturing production credit under Section 45X of the Internal Revenue Code, enacted as part of the Inflation Reduction Act of 2022. 

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