Comment from Holland & Knight
Holland & KnightSupportAdvocacy
Summary: Holland & Knight LLP, representing various interests, urges the Treasury and IRS to expand the definition of "semiconductor manufacturing equipment" under Section 48D to include materials manufacturing facilities. They argue that the current narrow interpretation contradicts congressional intent, harms U.S. national security, and creates a competitive disadvantage against international allies who provide incentives for the entire semiconductor supply chain.
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