Comment from LanzaJet, Inc.
LanzaJet, Inc.SupportBusiness
Summary: LanzaJet, Inc., a sustainable aviation fuel (SAF) producer, supports the proposed Section 45Z regulations but argues that the current definition of "transportation fuel" would unintentionally exclude Alcohol-to-Jet (ATJ) pathways. The company requests that the IRS clarify the definition to distinguish between industrial ethanol and fuel-blending ethanol to ensure ATJ pathways remain eligible for the tax credit.
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