Comment from Reworld Waste

Reworld WasteSupportBusiness
Summary: Reworld, a waste solutions company, argues that electricity produced at its waste-to-energy (WTE) facilities should qualify as "transportation fuel" under the §45Z Clean Fuel Production Credit. They contend that electricity meets the statutory definitions for fuel type, qualified facility, and emissions rates, and they advocate for the use of the 45ZCF-GREET model to calculate these emissions.
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