Lane Powell Shareholder Neil Kimmelfield recently wrote a letter to the United States Department of Treasury seeking clarification that the term “qualified facility,” as used in section 48 of the Internal Revenue Code and ARRA section 1603, is properly interpreted in a manner that permits biogas projects to qualify for the investment tax credit and the ARRA section 1603 Grant without unnecessary restrictions on the siting and ownership of project components. Read the letter (PDF).