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ENERGY INVESTMENT TAX CREDITS

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ENERGY INVESTMENT TAX CREDITS James F. Duffy, Esquire Nixon Peabody LLP 100 Summer Street Boston, MA 02110-2131 (617) 345-1129 jduffy_at_nixonpeabody.com – PowerPoint PPT presentation

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Title: ENERGY INVESTMENT TAX CREDITS


1
ENERGY INVESTMENT TAX CREDITS
  • James F. Duffy, Esquire
  • Nixon Peabody LLP
  • 100 Summer Street
  • Boston, MA 02110-2131
  • (617) 345-1129
  • jduffy_at_nixonpeabody.com

LEARNING THE BASICS HOUSING TAX CREDITS 101
IPED, INC. San Francisco, California July
24-25, 2008
2
CALIFORNIA SOLAR EMPHASIS
  • Over the last decade, California has been the
    nations leading state in promoting solar energy
  • The California Qualified Allocation Plan and tax
    credit application encourage and reward
    sustainable building methods and every point
    counts in a 9 application
  • Californias solar rebate program (essentially a
    grant) encourages the use of solar energy

3
CALIFORNIA SOLAR EMPHASIS
  • Recently, other states have jumped on the green
    bandwagon, and others are planning to follow
    suit, so the concepts here are by no means
    limited to California
  • Solar energy can be used for common areas to
    reduce property operating expenses or can be
    master metered to the tenants
  • To the extent that using solar energy reduces
    tenant utility allowances, that generally allows
    rents to increase by an equal amount

4
FEDERAL ENERGY TAX CREDITS
  • Start with the federal tax credit for solar
  • Energy Tax Credits (sometimes called ETCs)
    under Section 48 of the Internal Revenue Code are
    investment tax credits which constitute the
    principal federal incentive for developing and
    installing solar power

5
SECTION 48 TAX CREDITS
  • Available, generally, for energy property using
    solar energy to generate electricity, to heat or
    cool (or provide hot water for use in) a
    structure, or to provide solar process heat
    (except for swimming pools), or to produce,
    distribute or use solar energy to illuminate
    using fiber-optic distributed sunlight, or
    qualified fuel cell property, or qualified
    microturbine property
  • So this is a primarily described as a solar
    energy tax credit -- Photovoltaic PV,
    Concentrated Solar Power (CSP) and fuel cells

6
  • As an investment tax credit, the ETC (for solar,
    etc.) is based on the cost of the energy
    facility, not on how much electricity is produced
  • In contrast, Federal tax credits for wind,
    biomass, geothermal, etc. are under Section 45 of
    the Internal Revenue Code and are based upon
    electricity production)
  • For the ETC, there is no requirement that
    electricity be sold, just that the facility
    generate electricity for heating, cooling or
    lighting

7
  • The ETC is generally 30 of the cost of the
    facility (which does not include ancillary
    aspects like transmission lines and substations,
    but can include a reasonable development fee)
  • The ETC is claimed in full in the year the
    facility is placed in service (although in
    certain circumstances it could be claimed based
    on progress expenditures over more than one
    year)
  • Recapture possible for 5 years (credit vests 20
    per year)

8
  • ETCs are generally claimed by the owner of the
    solar facility
  • A lease can be used so that the tenant claims the
    tax credits, but most solar facilities are too
    small to justify the additional transaction costs
    of documenting a transaction as a lease, at least
    under the master lease structures used for
    historic tax credits
  • ETCs follow profits Unlike LIHTCs which
    generally follow depreciation losses (be careful
    with any incentive fees)

9
  • The use of grants, bonds, subsidized energy
    financing and other tax credits can reduce the
    ETCs pro rata based on the percentage of the
    facility funded by these items
  • ETCs (like LIHTCs) cannot reduce Alternative
    Minimum Tax liability
  • There is a basis reduction of 50 of ETCs
    claimed, which reduces depreciation losses

10
  • Facilities are generally depreciated over 5 years
    (5-year MACRS)
  • Facilities placed in service in 2008 can claim
    50 of the total depreciation in 2008
  • Under current law, the facility must be placed in
    service prior to January 1, 2009, or ETCs are
    reduced from 30 to 10
  • Credit extension legislation is under
    consideration now in the Congress

11
ETCs ON LIHTC PROPERTIES
  • The same property can take advantage of both ETCs
    and LIHTCs
  • If the solar facility is being included in the
    initial construction or rehabilitation of a LIHTC
    property, then the solar property can be included
    in the basis for both tax credits
  • If the solar facility is being added to an up and
    running LIHTC property, the LIHTC basis is
    already established, so only the ETCs can be
    claimed on the solar facility

12
  • To qualify for both LIHTCs and ETCs, the tenants
    cannot be charged for the electricity, as that
    would cause the panels to be commercial
    property and excluded from LIHTC basis
  • When combining LIHTCs and ETCs, make sure the
    ultimate investor (which may be the syndicators
    investor) is in the deal before the solar
    property is placed in service (possible 3-month
    lease exception under Code Section 50(d)(4))

13
  • The LIHTC partnership could own the solar
    facility and the LIHTC investor could pay
    additional capital for the ETCs
  • An affiliate of the developer could own the solar
    panels and (i) sell electricity to the LIHTC
    partnership or (ii) lease the panels to the LIHTC
    partnership in either case, the developer could
    syndicate the ETCs to a tax investor

14
ADDING SOLAR TO AN EXISTING LIHTC PROPERTY
  • The LIHTC partnership could own the solar
    facility and the LIHTC investor could pay
    additional capital for the ETCs
  • An affiliate of the developer could own the solar
    panels and (i) sell electricity to the LIHTC
    partnership or (ii) lease the panels to the LIHTC
    partnership in either of these situations, the
    developer could separately syndicate the ETCs to
    a tax investor

15
Example Combining ETC and LIHTC
Amount of Credits Available Amount of Credits Available
9 Housing Credit 4 Housing Credit
Solar Panel Cost 1,000,000 1,000,000
Solar Credit at 30 300,000 150,000assumes 50 tax-exempt debt
LIHTC Basis(reduced by ½ of solar credit) 850,000 925,000
LIHTC Percentage (assumed) 8.1 x 10 81 3.5 x 10 35
LIHTC Amount 689,000 324,000
Total Credits 989,000 474,000

Plus 5-year MACRS (and Plus S/L
depreciation
50 bonus depreciation if PIS in 2008)
16
  • Often, the ideal transaction structure depends on
    whether or not the solar facility can be included
    in LIHTC basis and on the available state
    incentives
  • Also, some LIHTC investors and syndicators are
    more receptive than others to also investing in
    ETCs
  • 11088199.1

17
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