Comment from Baker Botts L.L.P.
Baker Botts L.L.P.SupportBusiness
Summary: Baker Botts LLP, representing a client, requests that the IRS include guidance on section 45Q(d)(2)(B) for carbon capture and sequestration in the 2026-2027 Priority Guidance Plan. They argue that the lack of clear guidance on phased construction and unit interchangeability is hindering investment in carbon capture projects at electricity generating facilities.
See attached file.