Comment from Graphyte, Inc.
Graphyte, Inc.SupportBusiness
Summary: Graphyte, Inc., a carbon removal company, supports the Section 45Z clean fuel production credit and urges the Treasury and DOE to expand modeling tools to include Biomass Carbon Removal and Storage (BiCRS) technologies. They argue that current regulations risk excluding innovative carbon reduction methods and request that the Provisional Emissions Rate (PER) process be made more accessible to producers with materially different production pathways.
On behalf of Graphyte, Inc., please find attached comments in response to Docket Id. No. IRS-2026-0133 - Section 45Z Clean Fuel Production Credit notice of proposed rulemaking.