The RTC submitted comments to the U.S. Department of the Treasury on the proposed regulations for the Section 45Y Clean Electricity Production Tax Credit (PTC) and Section 48E Clean Electricity Investment Tax Credit (ITC). The comments address key issues related to thermal energy storage, solar thermal technology, combined heat and power systems, and waste energy recovery, as well as biogas, renewable natural gas (RNG), and environmental attribute certificates. The RTC’s recommendations aim to support the successful implementation of the Section 45Y and 48E credits, promote the development of renewable thermal technologies, and reduce emissions from the industrial and commercial sectors.
The RTC’s comments were developed in collaboration with our Members and Solutions Providers. To contribute to future comments and advocacy efforts, join the RTC.
Fill out the form below to read the RTC's submitted comments:
Comments on Section 45Y and 48E Credits for Clean Electricity
The RTC submitted comments to the U.S. Department of the Treasury on the proposed regulations for the Section 45Y Clean Electricity Production Tax Credit (PTC) and Section 48E Clean Electricity Investment Tax Credit (ITC). The comments address key issues related to thermal energy storage, solar thermal technology, combined heat and power systems, and waste energy recovery, as well as biogas, renewable natural gas (RNG), and environmental attribute certificates. The RTC’s recommendations aim to support the successful implementation of the Section 45Y and 48E credits, promote the development of renewable thermal technologies, and reduce emissions from the industrial and commercial sectors.
The RTC’s comments were developed in collaboration with our Members and Solutions Providers. To contribute to future comments and advocacy efforts, join the RTC.
Fill out the form below to read the RTC's submitted comments:
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