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New guidance released by the IRS has taxpayers facing the mandatory method change for specified R&E expenditures under IRC Section 174.
By offsetting payroll taxes, the R&D tax credit can be an immediate source of cash for tech companies and others that qualify.
The Inflation Reduction Act of 2022, includes a number of the renewable energy tax provisions originally contained in the Build Back Better Act.
The Fifth Circuit Court of Appeals and the U.S. Court of Federal Claims held that the blends of butane and gasoline would not be eligible for the alternative fuel mixture credit.
On March 24, 2022, the Fifth Circuit Court of Appeals found the federal oil spill tax under IRC Section 4611(b) unconstitutional when imposed on exports of crude oil from the United States.
“Flowback services” used to transition an oil and gas well to production after hydraulic fracturing are taxable as equipment rentals under the Texas Administrative Code.
For mid-stream oil and gas companies, vendor and procurement fraud is all too common and can lead to substantial harm.
The Biden administration has proposed to repeal a number of tax provisions that encourage direct investment in oil and gas properties as a way to offset the costs of extending and expanding clean energy tax provisions.