Tax Reform and Renewable Energy: Planning Techniques, 100% Expensing, BEAT, Tax Credits and Interest Deduction Limitations

Course Details
- smart_display Format
On-Demand
- signal_cellular_alt Difficulty Level
- work Practice Area
Energy
- event Date
Wednesday, January 16, 2019
- schedule Time
1:00 PM E.T.
- timer Program Length
90 minutes
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This 90-minute webinar is eligible in most states for 1.5 CLE credits.
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Live Online
On Demand
This CLE course will provide energy counsel and advisers with a review of the application and impact of the new tax law on the renewable energy sector. The panel will discuss new tax law changes impacting renewable energy and provide planning strategies to optimize tax benefits, credits, deductions and avoid pitfalls.
Description
The new tax law has had a significant impact on the renewable energy sector requiring a careful analysis of its effect on the investments and planning of renewable energy projects. An understanding of key provisions of the new tax law such as the reduction in the corporate tax rate, the limitation on interest deductions, 100% expensing and the imposition of base erosion and anti-abuse tax (BEAT) is critical to properly advising clients engaged in renewable energy projects.
The new tax law forces corporations and partnerships within the renewable energy sector to consider methods to optimize capital structures to achieve the most advantageous tax treatment. The most significant change under the new tax law is the reduction of the maximum corporate tax rate to 21%, which impacts the amount of tax equity that can be raised for renewable energy projects and causes a ripple effect on a companies ability to use tax credits and deductions.
Also, tax equity investors with multi-national operations must evaluate BEAT. For tax equity investors subject to it, BEAT reduces the value of renewable energy tax credits investors can use to offset its tax liability. The BEAT excludes 20% of renewable energy tax credits that otherwise would have been available to offset any BEAT tax owed by multinational tax equity investors.
Renewable energy projects may be eligible for 100% bonus depreciation of qualified property. The new rules eliminate the "original use" provision allowing for the expensing of both new and used property under certain conditions and recent regulations affect the ability of partners to claim 100% bonus depreciation in some cases.
Listen as our panel discusses the effect of the new tax law on renewable energy projects and provides methods to optimize tax benefits, credits, and deductions and avoid pitfalls.
Outline
- Overview of implications of new tax law on renewable energy projects
- Corporate tax rate reduction, elimination of AMT, QBI deduction for pass-through entities
- Understanding the BEAT
- Treatment of renewable energy credits under the new tax law
- 100% Expensing of qualified property
- Best practices and planning techniques for renewable energy projects post-tax reform
Benefits
The panel will discuss these and other relevant matters:
- Key provisions of the new tax law impacting renewable energy projects
- Challenges in renewable energy investments post-tax reform
- Impact of the reduction in corporate tax rate and elimination of the AMT
- Implications of BEAT on renewable energy
- Phase out of each of the renewable energy investment tax credit (ITC) and energy production tax credit (PTC)
- Interest expense deduction limitation rules enacted by tax reform
- Planning techniques for renewable energy projects post-tax reform
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