Taxes
AICPA Offers Comments to IRS on Domestic Content Bonus Credit Requirements
Per the interim guidance, to qualify for the DCBC, customers will need to know the exact amount of the manufactured product and components costs and which components are domestically produced.
Jul. 31, 2024
The American Institute of CPAs (AICPA) has provided recommendations to the Department of the Treasury and the Internal Revenue Service (IRS) on interim guidance in Notice 2023-38 as updated by Notice 2024-41. The guidance describes certain rules that Treasury and the IRS intend to include in proposed regulations regarding the domestic content bonus credit (DCBC) requirements and related recordkeeping and certification requirements. Per the interim guidance, to qualify for the DCBC, customers will need to know the exact amount of the manufactured product and components costs and which components are domestically produced. Looking through those costs allows customers to see sensitive supply chain information and, as expected, suppliers may not willingly give up that information. This requirement has caused significant pressure on taxpayers who need the DCBC to make the economics of an energy project viable, as the guidance describes general recordkeeping requirements a taxpayer must meet to substantiate the domestic content requirement. The AICPA’s recommendations include the following:
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