IRS issues new Section 45Q CCUS ruling
July 09, 2021
IRS issues new Section 45Q CCUS rulingJuly 09, 2021 The IRS issued Revenue Ruling 2021-13 on July 1, 2021, which provides additional guidance regarding the section 45Q carbon capture, utilization and storage (CCUS) credit. More specifically, the ruling concludes that:
Relevant facts in the ruling The facts involve a methanol plant that produces methanol from petroleum coke. The process for producing methanol involves the following steps:
The AGR unit was placed in service on January 1, 2017 and, since that time, the CO2 separated by the AGR has been released into the atmosphere and no section 45Q credits have been claimed. The taxpayer purchased and installed new components of carbon capture equipment in 2021 necessary to create a single process train capable of capturing, processing, and preparing for transport the CO2. The taxpayer did not acquire any ownership interest in the methanol plant, including the AGR unit. Summary of applicable rules Under Treas. Reg. section 1.45Q-2(c), carbon capture equipment generally includes all components of property that are used to capture or process carbon oxide until the carbon oxide is transported for disposal, injection or utilization. Further:
Finally, under section 45Q(f)(3)(A)(ii) and Treas. Reg. §1.45Q-1(h)(1)(ii), the section 45Q credit is available to the person that owns the carbon capture equipment and physically or contractually ensures the capture and disposal, injection, or utilization of such qualified carbon oxide. The final regulations provide that for each single process train of carbon capture equipment, only one taxpayer will be considered the person to whom the credit is attributable. Conclusions in ruling In the ruling, the IRS reached the following conclusions:
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