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American Recovery and Reinvestment Act / Government / Public economics / Economic policy / Qualified school construction bond / Nonbusiness Energy Property Tax Credit / Taxation in the United States / Treasury Inspector General for Tax Administration / Internal Revenue Service


Assessment of the Internal Revenue Service’s Interpretation of Section 1302 of the Recovery Act: Qualifying Advanced Energy Project Credit
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Document Date: 2013-03-27 10:08:49


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File Size: 490,78 KB

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City

Washington / D.C. / Houston / /

Company

Large Business / The Recovery Act / /

Currency

USD / /

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Event

Environmental Issue / /

Facility

Department of Energy Headquarters / International Division Headquarters / /

IndustryTerm

manufacturing facility / greenhouse gas emission / stored energy / supply chain / energy consumption / manufacturing base / improved technologies / renewable energy industries / final applications / recommended energy project / energy / /

Organization

Committee on Science / Space / and Technology / Subcommittee on Investigations and Oversight / U.S. Department of Energy / Rule-Making Authority / U.S. House of Representatives / Internal Revenue Service / International Division / DEPARTMENT OF THE TREASURY WASHINGTON / D.C. / Tax Administration / Department of Energy Recommendation / TREASURY INSPECTOR GENERAL FOR TAX ADMINISTRATION / /

Person

Augusta R. Cook / /

/

Position

Governor / Treasury Inspector General / Chairman / President / Associate Chief Counsel / Acting Deputy Inspector General / Chief Counsel / Commissioner / General / Acting Assistant Inspector General / /

Product

Advanced Energy Credit / /

ProvinceOrState

Texas / /

URL

http /

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