Comment from Fuel Cell and Hydrogen Energy Association
Fuel Cell and Hydrogen Energy AssociationSupportAdvocacy
Summary: The Fuel Cell and Hydrogen Energy Association (FCHEA) supports the proposed 2026-2027 Priority Guidance Plan and requests the inclusion of specific items to provide regulatory certainty for the hydrogen and carbon capture industries. They specifically advocate for final guidance on the Section 45U financial test, Section 4662 superfund excise tax, and Section 45Q carbon sequestration credit, as well as the resolution of contract negotiations for the GREET Model.
Please see attached recommendations on behalf of the Fuel Cell and Hydrogen Energy Association (FCHEA).