NAHMA Update: Initial Guidance Establishing Qualifying Advanced Energy Project Credit Allocation; Treasury Welcomes Clear Guidance on PillarTwo Global Minimum Tax, Tax Credit ProtectionsMarch 1, 2023 Dear NAHMA Members,
Please find below two updates regarding:
Initial Guidance Establishing Qualifying Advanced Energy Project Credit Allocation
The IRS recently published Notice 2023-18 (also attached) to establish a program to allocate credits for qualified investments in eligible qualifying advanced energy projects. The purpose of this notice:
The IRS will issue additional guidance by May 31, 2023, to provide more details regarding information applicants will be required to submit to request a credit allocation.
Treasury Welcomes Clear Guidance on Pillar Two Global Minimum Tax, Tax Credit Protections
The Treasury Department announced that the OECD/G20 Inclusive Framework released a package of technical and administrative guidance that achieves clarity on the global minimum tax on multinational corporations known as Pillar Two, and provides critical protections for important tax incentives, including green tax credit incentives established in the Inflation Reduction Act. The guidance was agreed by consensus of all 142 countries and jurisdictions in the OECD/G20 Inclusive Framework and forms part of the common approach under which countries that adopt the rules agree to implement them. Pillar Two provides for a global minimum tax on the earnings of large multinational businesses, leveling the playing field for U.S. businesses and ending the race to the bottom in corporate income tax rates.
The publication of this package follows the release of the Model Rules in December 2021 and Commentary in March 2022, as well as rules for a transitional safe harbor in December 2022. The newly released guidance provides greater certainty for issues of top concern for U.S. taxpayers and helps sustain incentives critical to achieving Biden-Harris Administration climate goals, and will be incorporated into a revised version of the Commentary that will replace the prior version. The package includes guidance on over two dozen topics, addressing those issues that Inclusive Framework members identified are most pressing. This includes topics relating to the scope of companies that will be subject to the Global Anti-Base Erosion (GloBE) Rules and transition rules that will apply in the initial years that the global minimum tax applies. Also included is guidance on domestic minimum taxes, known as Qualified Domestic Minimum Top-up Taxes (QDMTTs), that countries may choose to adopt.
The package of guidance provides certainty on several key issues. Examples include:
To view the guidance, click here. To view the Treasury press release, click here. To view the OECD press release, click here.
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