The IRS today released an advance version of Notice 2016-31 that extends and modifies the safe harbor rules for satisfying requirements for “beginning construction” of a qualified facility eligible for the renewable electricity production tax credit (PTC), or the election to claim the investment tax credit (ITC) in lieu of the PTC under sections 45 and 48.
The IRS issued Notice 2016-31 [PDF 79 KB] to implement changes made to section 45 by the Protecting Americans from Tax Hike Act of 2015 or PATH Act (enacted in December 2015). Today’s notice reflects the extension of the PTC for two years for facilities the construction of which begins before January 1, 2017, and the extension of the PTC for wind facilities the construction of which begins before January 1, 2020.
The IRS also stated that it would not issue private letter rulings regarding the application of today’s notice on the “beginning construction” requirement.
Revised guidance: The IRS on May 18, 2016, issued an updated version of Notice 2016-31 to make three changes including to modify the deadline for the Continuity Safe Harbor, to correct a math error, and to insert new language concerning an effective date. Read TaxNewsFlash-United States.
The PATH Act also extended the investment tax credit for solar energy facilities (the construction of which begins before January 1, 2022). However, as noted in today’s release, the IRS and Treasury anticipate issuing separate guidance concerning solar energy facilities.
The PATH Act provides for long-term extensions to wind and solar tax credits along with a phase-out schedule for each.
With respect to wind facilities, the “begin construction” deadline for the PTC is extended five years from what had been a deadline of December 31, 2014, to December 31, 2019. In addition, the “begin construction” deadline with respect to the election to claim the ITC in lieu of the PTC also is extended to December 31, 2019.
The amount of the wind credit is determined by the year in which construction begins.
|Period in which construction begins||Reduction to credit|
|Before January 1, 2017||No reduction|
|After December 31, 2016, and before January 1, 2018||20% reduction|
|After December 31, 2017, and before January 1, 2019||40% reduction|
|After December 31, 2018, and before January 1, 2020||60% reduction|
The IRS today issued Notice 2016-31 to address questions arising after the extension of the PTC and the ITC by the PATH Act. Notice 2016-31:
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