Financing Our Energy Future Act
- Last Action
- 3/29/2021
Actions
- 2021-03-29Referred to the House Committee on Ways and Means.
- 2021-03-29Introduced in House
- 2021-03-29Introduced in House
CRS Summary
As of 2021-03-29 (00)
Financing Our Energy Future Act
This bill expands the types of partnerships that qualify for treatment as publicly traded partnerships instead of as corporations for tax purposes.
Under current law, partnerships that meet certain gross income requirements (i.e., at least 90% of the partnership's gross income in a taxable year consists of qualifying income) are excepted from being treated as a corporation for tax purposes. This bill expands the sources of income that are considered qualifying income and make a partnership eligible for such an exception.
Specifically, the bill provides that income derived from the generation of specified alternative energy, alternative fuel projects, or the associated property, storage, or transportation for such projects (e.g., the converstion of renewable biomass into renewable fuel or the storage or transportation of such fuel) is considered qualifying income.
Cosponsors (1)
- Ron Estes (R-KS)
Subjects
- Air quality
- Alternative and renewable resources
- Climate change and greenhouse gases
- Corporate finance and management
- Electric power generation and transmission
- Energy storage, supplies, demand
- Lighting, heating, cooling
- Motor fuels
- Nuclear power
- Solid waste and recycling
- Tax administration and collection, taxpayers
Sourced from Congress.gov (public domain).
This is legal information, not legal advice. Laws vary by jurisdiction and change frequently. Always verify current law with official sources and consult a licensed attorney in your jurisdiction for advice on your specific situation.