Charles River Associates and Pillsbury invite you to a two-part webinar series focused on hydrogen project development in the United States.

Our first program discusses how the development of new tax credit rules under the Inflation Reduction Act (IRA) will drive fundamental changes in project structuring and economics, including:

  • the transferability and direct pay parameters of the 45V credit
  • stacking the 45V credit with credits available for clean energy production facilities
  • the implications of tying a production tax credit to the carbon intensity of the clean hydrogen produced on off-take agreements

Part two of our series will cover U.S. Treasury and IRS guidance defining “qualified clean hydrogen,” the accounting of life-cycle greenhouse gas emissions when determining tax credits available for a project and other matters included in the formal guidance. We will schedule a date for the program following the release of the IRS guidance.

Moderator

Pillsbury Panelist

Additional Panelist

Drake Hernandez, Associate Principal, CRA

Sponsors

Pillsbury

CRA