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The Renewable Electricity Production Tax Credit: In Brief

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The Renewable Electricity Production Tax Credit: In Brief Molly F. Sherlock Specialist in Public Finance April 7October 2, 2014 Congressional Research Service 7-5700 www.crs.gov R43453 The Renewable Electricity Production Tax Credit: In Brief Summary The renewable electricity production tax credit (PTC) expired on January 1, 2014. The renewable electricity PTC is a per-kilowatt-hour tax (kWh) credit for electricity generated using qualified energy resources. Whether the PTC should be extended, modified, or remain expired is an issue being considered in the second session of the 113th Congress. The PTC was initially enacted to promote the development of renewable energy resources, and it has been extended multiple times in an effort to continue advancing this policy goal. While some Members of Congress support extension or modification of the PTC, others say that the PTC should be allowed to expire. Extension of the PTC may be considered as part of “tax extenders” legislation. The PTC for wind and closed-loop biomass was first enacted in 1992. When first enacted, the PTC was scheduled to expire on July 1, 1999. Since 1999, the PTC has been extended eight times. On three occasions, the PTC was allowed to lapse before being retroactively extended. Including the present expiration, the PTC has been allowed to lapse four times. In addition to being extended, the PTC has also been expanded over time to include additional qualifying resources. In 2013, wind, closed-loop biomass, and geothermal technologies qualified for the full credit amount of 2.3-cents per kWh. Other technologies (open-loop biomass, small irrigation power, landfill gas, trash, qualified hydropower, marine and hydrokinetic) qualify for a half-credit amount, or 1.1-cents per kWh in 2013. Credit amounts are adjusted annually for inflation. The Joint Committee on Taxation (JCT) estimates that in 20132014, foregone revenues (or “tax expenditures”) for the PTC were $1.75 billion. Between 20132014 and 20172018, the JCT estimates that foregone revenues associated with the PTC for renewable electricity will total $9.2 billion. Because 16.4 billion, with another $0.1 billion each for Indian coal and refined coal over that same time period. Because these estimates are based on current law, any policy that extends or expands the PTC will increase the amount of foregone revenue. The PTC has been important to the growth and development of renewable electricity resources, particularly wind. Tax incentives for renewables, however, may not be the most economically efficient way to correct for distortions in energy markets or to deliver federal financial support to the renewable energy sector. Tax subsidies reduce the average cost of electricity, increasing demand for electricity overall, countering energy efficiency and emissions reduction objectives. Subsidies delivered as non-refundable tax incentives often require those wishing to use the credit find “tax-equity” partners to provide equity investments in exchange for tax credits. The use of tax-equity reduced the amount of the incentive that flows directly to the renewable energy sector. Several policy options for the PTC have been proposed in the 113th Congress. These include (1) allowing the PTC to remain expired (current law); (2) temporarily extending the PTC (as proposed in the Expiring Provisions Improvement, Reform, and Efficiency (EXPIRE) Act of 2014 2014 (S. 2260) and the Tax Extenders Act of 2013 (S. 1859)); (3) temporarily extending the PTC but providing some form of phase-out (the PTC Certainty and Phaseout Act of 2013 (H.R. 2987)); (4) eliminating the inflation adjustment factor to phase-out the PTC then repealing (the Tax Reform Act of 2014); (5) permanently extending the PTC and making refundable (the President’s FY2015 Budget); or (6) fundamentally reforming the PTC to provide a “technology neutral” incentive (the Baucus Energy Tax Reform discussion draft). Congressional Research Service The Renewable Electricity Production Tax Credit: In Brief Contents Description....................................................................................................................................... 1 Legislative History........................................................................................................................... 3 PTC Claims and Revenue Cost Estimates ....................................................................................... 5 Cost of Extending the PTC ........................................................................................................ 8 Economic and Policy Considerations .............................................................................................. 8 Policy Options and Proposals ........................................................................................................ 10 Tables Table 1. PTC Credit Rate and Eligible Renewable Technologies, 2013 .................................................... 2 Table 2. Renewable Electricity PTC Expirations and Extensions ................................................... 4 Table 3. Internal Revenue Service Statistics on PTC Claims .......................................................... 6 Table 4. PTC Tax Expenditures ....................................................................................................... 7 Table 5. PTC Policy Options and Proposals .................................................................................. 11 Contacts Author Contact Information........................................................................................................... 12 Acknowledgments ......................................................................................................................... 12 Congressional Research Service The Renewable Electricity Production Tax Credit: In Brief T he renewable electricity production tax credit (PTC) expired on January 1, 2014. Thus, under current law, the credit will not be available for projects that begin construction after December 31, 2013. Whether the PTC should be extended, modified, or remain expired is an issue being considered in the second session of the 113th Congress. While some Members of Congress support extension or modification of the PTC,1 others say that the PTC should be allowed to expire.2 Extension of the PTC is being considered as part of “tax extenders” legislation.3 The Expiring Provisions Improvement, Reform, and Efficiency (EXPIRE) Act, as the Senate Finance Committee voted to report on April 3, 2014, of 2014 (S. 2260) would extend the PTC construction start date for two years, through the end of 2015. This report provides a brief overview of the renewable electricity PTC. The first section of the report describes the credit. The second section provides a legislative history. The third section presents data on PTC claims and discusses the revenue consequences of the credit. The fourth section briefly considers some of the economic and policy considerations related to the credit. The report concludes by briefly noting policy options related to the PTC. Description The renewable electricity PTC is a per-kilowatt-hour tax (kWh) credit for electricity generated using qualified energy resources.4 To qualify for the credit, the electricity must be sold by the taxpayer to an unrelated person. The credit can be claimed for a 10-year period once a qualifying facility is placed in service. The maximum credit amount for 2013 and 2014 is 2.3 cents per kWh. The The maximum credit rate, set at 1.5 cents per kWh in statute, is adjusted annually for inflation.5 Wind, closed-loop biomass, and geothermal energy technologies qualify for the maximum credit amount amount (see Table 1). Other technologies, including open-loop biomass, small irrigation power, landfill landfill gas, trash, qualified hydropower, and marine and hydrokinetic energy facilities qualify for a a reduced credit amount, where the amount of the credit is reduced by one-half (see Table 1). 1 On March 21, 2014, 26 Senators sent a letter to Senate Committee on Finance Chairman Ron Wyden and Ranking Member Orrin Hatch in support of extending the PTC. A copy of this letter can be found at http://www.nationaljournal.com/library/128736. A similar letter, signed by 118 members of the House of Representatives, was sent to House Speaker John Boehner. A copy of this letter can be found at http://loebsack.house.gov/uploadedfiles/wind_ptc-itc_extension_letter_final_3.21.2014.pdf. Earlier, on December 16, 2013, seven Members of the House Sustainable Energy and Environment Coalition sent a letter to House Ways and Means Committee leadership supporting the extension of the PTC, along with other select expired and expiring energyrelated provisions. A similar letter was sent by twenty-four Senators to Senate Committee on Finance leadership. Copies of these letters are available at http://www.nationaljournal.com/energy/dems-push-to-extend-clean-energy-taxcredits-20131216. 2 On November 14, 2013, 52 House Members sent a letter to House Ways and Means Committee Chairman Dave Camp stating that the PTC should not be extended. A copy of the letter can be found at http://pompeo.house.gov/ uploadedfiles/windptc2013letter.pdf. A December 13, 2013, letter to the Chairman and Ranking Member of the Senate Committee on Finance, signed by ten Senators, also supported allowing the PTC to expire. A copy of the letter can be found at http://www.nationaljournal.com/energy/manchin-alexander-call-for-expiration-of-wind-tax-credit-20131218. 3 For background, see CRS Report R43124, Expired and Expiring Temporary Tax Provisions (“Tax Extenders”), by Molly F. Sherlock. 4 The renewable electricity production credit can be found in § 45 of the Internal Revenue Code (IRC). 5 The inflation adjustment is based on the gross domestic product (GDP) implicit price deflator, where the 1992 GDP implicit price deflator is the base year. Congressional Research Service 1 The Renewable Electricity Production Tax Credit: In Brief Under current law, only facilities for which construction began before January 1, 2014, can qualify for the PTC.6 Before 2013, the PTC expiration date was a placed-in-service deadline, meaning that the electricity producing property had to be ready and available for use before the credit’s expiration date. Table 1. PTC Credit Rate and Eligible Renewable Technologies, 2013 2013 and 2014 Full Credit Half Credit Credit Rate (per kWh) 2.3¢ Credit Rate (per kWh) 1.1¢ Qualifying Technologies Wind, Closed-Loop Biomass, Geothermal Qualifying Technologies Open-Loop Biomass, Small Irrigation Power, Landfill Gas, Trash, Qualified Hydropower, Marine and Hydrokinetic Source: IRC Section 45. The amount that may be claimed for the PTC is set to phase-out once the market price of electricity exceeds threshold levels. Since being enacted, market prices of electricity have never exceeded the threshold level and the PTC has not been phased out, nor is the PTC likely to be phased out under current law.7 The ability to claim the PTC may also be limited by the corporate alternative minimum tax (AMT). Currently, the PTC is available for taxpayers subject to the AMT for the first four years of the credit. While the PTC cannot be claimed against the corporate AMT, unused credits may be carried forward to offset future regular tax liability. While few firms are subject to the corporate AMT, this limitation may be significant for those affected.8 From 2009 through 2013, PTC-eligible taxpayers had the option of claiming the 30% energy investment tax credit (ITC) in lieu of the PTC. Property that was placed in service during 2009, 2010, or 2011 or which was placed under construction in one of these years also had the option of claiming an American Recovery and Reinvestment Act (ARRA) Section 1603 grant in lieu of tax benefits.9 There are also production tax credits for Indian coal and refined coal. The base rate for Indian coal is $2.00 per ton, but with the inflation adjustment was $2.308 in 2013. For refined coal, the base credit amount is $4.375 per ton, and the 2013 credit with the inflation adjustment is $6.59 ($2.317 for 2014). For 6 A taxpayer may establish the beginning of construction by starting physical work of a significant nature or by meeting the safe harbor provided in the IRS Notice 2013-60, available at http://www.irs.gov/pub/irs-drop/n-13-60.pdf. IRS guidance advises that facilities placed in service before January 1, 2016 will be considered to have satisfied the continuous construction or continuous efforts requirements for meeting the December 31, 2013, construction start date deadline. 7 The threshold amount above which the PTC begins to phase-out is 8 cents in statute, adjusted for inflation. Thus, the adjusted threshold amount for phase-out in 2013 was 12.05 cents per kWh. The reference price for the purposes of the PTC phase-out is the annual average contract price per kWh of electricity generated from the same qualified energy resource and sold in the prior year. The reference price for wind in 2013 was 4.53 cents. Because the reference price (4.53 cents) did not exceed the threshold amount (12.05 cents), there was no PTC phase-out. 8 For more, see Curtis Carlson and Gilbert E. Metcalf, “Energy Tax Incentives and the Alternative Minimum Tax,” National Tax Journal, vol. 61, no. 3 (September 2008), pp. 477-491. 9 See CRS Report R41635, ARRA Section 1603 Grants in Lieu of Tax Credits for Renewable Energy: Overview, Analysis, and Policy Options, by Phillip Brown and Molly F. Sherlock. Congressional Research Service 2 The Renewable Electricity Production Tax Credit: In Brief per tonrefined coal, the base credit amount is $4.375 per ton, and the 2013 credit with the inflation adjustment is $6.59 per ton ($6.601 for 2014). Indian coal production facilities must have been placed in service before January 1, 2009, to receive credits. Under current law, credits are not available for coal produced after 2013. Refined coal facilities must have been placed in service before January 1, 2012, to qualify for credits. Refined coal facilities that were placed in service before this deadline may still be receiving credits, as the credit was allowed for production over a 10-year period. Legislative History The PTC was first enacted in 1992 as part of the Energy Policy Act of 1992 (EPACT92; P.L. 102486). Since 1999, the PTC has been extended eight times (see Table 2). In June 1999, at the end of 2001, and at the end of 2003, the PTC was allowed to lapse before being retroactively extended. Including the present expiration, the PTC has been allowed to lapse four times. When first enacted as part of the EPACT92, the PTC was available for electricity generated using wind or closed-loop biomass systems. The credit was initially set to expire on June 30, 1999. In addition to extending the PTC through December 31, 2001, the Ticket to Work and Work Incentives Improvement Act of 1999 (P.L. 106-170) added poultry waste as a qualifying technology. The PTC was again extended, through December 31, 2003, as part of the Job Creation and Worker Assistance Act (P.L. 107-147). The Working Families Tax Relief Act of 2004 (P.L. 108-311) included provisions extending the PTC through December 31, 2005. Legislation enacted later in the 108th Congress substantially modified the PTC. The American Jobs Creation Act of 2004 (AJCA; P.L. 108-357) added new qualifying resources, including openloop biomass (including agricultural livestock waste), geothermal energy, solar energy, small irrigation power, and municipal solid waste (landfill gas and trash combustion facilities). Instead of being able to claim the PTC for the first 10 years of production, these new qualifying resources were limited to a 5-year PTC period. Further, open-loop biomass, small irrigation power, and municipal solid waste facilities had their credit amount reduced by one half. The AJCA also introduced a PTC for refined coal, with a rate of $4.375 per ton (indexed for inflation after 1992), available for qualifying facilities placed in service before January 1, 2009.10 The PTC was extended twice during the 109th Congress. The Energy Policy Act of 2005 (EPACT05; P.L. 109-58) extended the PTC for all facilities except solar energy and refined coal for two years, through 2007. EPACT05 also added two new qualifying resources: hydropower and Indian coal. Hydropower was added as a half-credit qualifying resource. Indian coal could qualify for a credit over a seven year period, with the credit amount set at $1.50 per ton for the first four years, and $2.00 per ton for the last three years, adjusted for inflation. EPACT05 also extended the credit period from five years to 10 years for all qualifying facilities (other than Indian coal) placed in service after August 8, 2005. The Tax Relief and Health Care Act of 2006 (P.L. 109-432) extended the PTC for one year, through 2008, for all qualifying facilities other than solar, refined coal, and Indian coal. 10 The AJCA also limited the reduction in credit for grants, tax-exempt bonds, or other subsidized financing to 50% for facilities other than closed-loop biomass. For certain closed-loop biomass facilities, the ACJA made it so there was no reduction in credit for taxpayers receiving other forms of subsidized financing. The AJCA also made changes to the corporate AMT, allowing taxpayers to claim the PTC against the AMT and stipulating that a taxpayer’s tentative minimum tax be treated as zero for the purposes of determining the tax liability limitation with respect to the PTC for the first four years of production. Congressional Research Service 3 The Renewable Electricity Production Tax Credit: In Brief (P.L. 109-432) extended the PTC for one year, through 2008, for all qualifying facilities other than solar, refined coal, and Indian coal. Table 2. Renewable Electricity PTC Expirations and Extensions Legislation Date Enacted Energy Policy Act of 1992 (P.L. 102-486) 10/24/1992 PTC Eligibility Window 1/1/1993 - 6/30/1999 (closed-loop biomass) Lapse Before Extension? — 1/1/1994 – 6/30/1999 (wind) Ticket to Work and Work Incentives Improvement Act of 1999 (P.L. 106-170) 12/17/1999 7/1/1999 – 12/31/2001 Yes Job Creation and Worker Assistance Act (P.L. 107-147) 3/9/2002 Working Families and Tax Relief Act (P.L. 108-311) 10/4/2004 The Energy Policy Act of 2005 (P.L. 10958) 8/8/2005 1/1/2006 – 12/31/2007 No The Tax Relief and Health Care Act of 2006 (P.L. 109-432) 12/20/2006 1/1/2008 – 12/31/2008 No The Emergency Economic Stabilization Act of 2008 (P.L. 110-343) 10/3/2008 1/1/2009 – 12/31/2010 No 7/1/1999 – 12/19/1999 1/1/2002 – 12/31/2003 Yes 1/1/2002 – 3/9/2002 1/1/2004 – 12/31/2005 Yes 1/1/2004 – 10/4/2004 10/3/2008 – 12/31/2011 (marine and hydrokinetic) 1/1/2009 – 12/31/2009 (wind) The American Recovery and Reinvestment Act of 2009 (P.L. 111-5) 2/17/2009 The American Taxpayer Relief Act of 2012 (P.L. 112-240) 1/2/2013 1/1/2011 – 12/31/2013 No 1/1/2010 – 12/31/2012 (wind) 1/1/2013 – 12/31/2013 (wind) No Source: Information compiled by CRS using the Legislative Information System (LIS). Notes: For all lapse periods, the PTC was retroactively extended. See text for full details on qualifying technologies during different time periods. The PTC was again extended and modified as part of the Emergency Economic Stabilization Act of 2008 (EESA; P.L. 110-343). The PTC for wind and refined coal was extended for one year, through 2009, while the PTC for closed-loop biomass, open-loop biomass, geothermal energy, small irrigation power, municipal solid waste, and qualified hydropower was extended for two years, through 2010. Marine and hydrokinetic renewable energy were also added as qualifying resources. A new credit for steel industry fuel was also introduced. This credit was set at $2.00 per barrel-of-oil equivalent (adjusted for inflation with 1992 as the base year). For facilities that were producing steel industry fuel on or before October 1, 2008, the credit was available for fuel produced and sold between October 1, 2008, and January 1, 2010. For facilities placed in service after October 1, 2008, the credit was available for one year after the placed-in-service date or through December 31, 2009, whichever was later. The American Recovery and Reinvestment Act of 2009 (ARRA; P.L. 111-5) provided a longerterm extension of the PTC, extending the PTC for wind through 2012 and the PTC for other Congressional Research Service 4 The Renewable Electricity Production Tax Credit: In Brief renewable energy technologies through 2013. Provisions enacted in ARRA also allowed PTCeligible taxpayers to elect to receive a 30% investment tax credit (ITC) in lieu of the PTC. ARRA also introduced the Section 1603 grant program, which allowed PTC- and ITC-eligible taxpayers Congressional Research Service 4 The Renewable Electricity Production Tax Credit: In Brief to receive a one-time payment from the Treasury in lieu of tax credits.11 Under ARRA, the Section 1603 grant program was available for property placed-in-service or for which construction started in 2009 or 2010. The Tax Relief, Unemployment Insurance Reauthorization, and Job Creation Act of 2010 (P.L. 111-312) extended the Section 1603 grant program for one year, through 2011. The PTC for wind, which was scheduled to expire at the end of 2012, was extended for one year, through 2013, as part of the American Taxpayer Relief Act (ATRA; P.L. 112-240). In addition to extending the PTC for wind, provisions in ATRA changed the credit expiration date from a placed-in-service deadline to a construction start date for all qualifying electricity-producing technologies. PTC Claims and Revenue Cost Estimates In 2010, 246 taxpayers claimed the PTC (see Table 3). Most of the credits claimed were for production of renewable electricity, with only a few claims being made for refined coal, Indian coal, or steel industry fuel.12 In total, in 2010, taxpayers claimed PTCs of $1.7 billion. Because the PTC is paid out for 10 years, most PTCs awarded in any given year are the result of previous year investments. Some taxpayers may not be able to use all of their tax credits to offset taxable income in a given tax year. In this case, taxpayers may carry forward unused credits to offset tax liability in a future tax year. In 2010, nearly $1.2 billion in PTCs were carried forward from previous tax years.13 The IRS data on PTC claims highlight the effect that policy actions taken in response to the economic downturn had on renewable energy tax credit claims. While the number of taxpayers claiming the PTC increased between 2008 and 2009, this number decreased between 2009 and 2010. With the Section 1603 grant option available, fewer taxpayers claimed the PTC. From 2009 through 2013, $14.3 billion was awarded in Section 1603 grants to recipients that might have otherwise claimed the PTC had the grant option not been available.14 This figure is not directly comparable to the costs of the PTC over four years, because Section 1603 grants are a one-time payment, while projects can claim the PTC for 10 years of production. The amount of PTCs being carried forward more than doubled between 2008 and 2009, then doubled again between 2009 and 2010. During the economic downturn, taxpayers had less net 11 For more on the Section 1603 grant program, see CRS Report R41635, ARRA Section 1603 Grants in Lieu of Tax Credits for Renewable Energy: Overview, Analysis, and Policy Options, by Phillip Brown and Molly F. Sherlock. 12 The IRS data do not identify the number of taxpayers claiming the PTC for individual energy resources. The tax expenditure figures presented below, in Table 4, provide estimates of the amount of PTCs being paid out to coal as opposed to renewable resources. 13 Taxpayers with limited tax liability may not have the ability to claim tax credits in a given tax year. Under the general business credit, unused tax credits can be carried back one year (used to offset positive tax liability in the previous tax year), or carried forward for up to 20 years (used to offset positive tax liability in future tax years). 14 This includes grants paid for wind, open- and closed-loop biomass, geothermal electricity, hydropower, landfill gas, and marine technologies through the end of 2013. A full list of awards can be found at http://www.treasury.gov/ initiatives/recovery/Pages/1603.aspx. Congressional Research Service 5 The Renewable Electricity Production Tax Credit: In Brief income to offset with tax credits. Further, weakness in tax equity markets made it harder for renewable energy project developers to establish partnerships to monetize tax credits.15 Table 3. Internal Revenue Service Statistics on PTC Claims (billions of dollars) 2008 2009 2010 Number of Claimantsa 253 260 246 Total Amount Claimed $1.2 $1.5 $1.7 Credits Carried Forward $0.2 $0.6 $1.2 Source: CRS analysis of Internal Revenue Service (IRS) Statistics of Income (SOI) line counts data, various years. Available at http://www.irs.gov/uac/SOI-Tax-Stats-Estimated-Corporation-Data-Line-Counts. a. This is the number of taxpayers filing IRS Form 8835 to claim the Renewable Electricity, Refined Coal, and Indian Coal Production Credit. Estimates of the cost, or foregone revenue, associated with tax expenditure provisions can be found in the Joint Committee on Taxation (JCT) annual tax expenditure tables. Because JCT’s figures are estimates, they may differ from the IRS claims data provided above. Between 20132014 and 20172018, estimated revenue losses associated with the PTC are $9.416.6 billion (see Table 4). Most of these revenue losses, $7.713.8 billion, are due to the PTC for wind energy. An estimated $1.59 billion is for PTCs for electricity produced using open-loop biomass. An estimated $0.57 billion is attributable to other renewable resources, including closed-loop biomass, geothermal, qualified hydropower, small irrigation power, and municipal solid waste. Over the same 5-year period, the estimated revenue losses associated with the production credits for refined coal and Indian coal are $0.1 billion each. JCT’s tax expenditure estimates are based on current law. Thus, any policy that extends the PTC would increase these tax expenditure estimates. 15 For a discussion of tax equity markets for renewable energy tax credits during the economic downturn, see CRS Report R41635, ARRA Section 1603 Grants in Lieu of Tax Credits for Renewable Energy: Overview, Analysis, and Policy Options, by Phillip Brown and Molly F. Sherlock. Congressional Research Service 6 Table 4. PTC Tax Expenditures (billions of dollars) 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017 2013 - 20172014 2014 - 2018 0.2 0.3 2.1 1.1 0.9 1.3 1.4 1.4 1.6 1.7 1.8 1.9 1.9 2.0 9.25 2.8 3.5 3.9 4.0 16.4 Wind Only 0.6 0.7 1.0 1.1 1.3 1.4 1.5 1.6 1.6 1.7 7.72 2.4 3.1 3.5 3.6 13.8 Open-Loop Biomass Only 0.3 0.3 0.3 0.3 0.34 0.34 0.3 1.54 0.4 1.9 Indian Coal -i- -i- -i- -i- -i- -i- -i- -i- -i- -i- -i- 0.1 Refined Coal Coal -i- -i- -i- -i- -i- -i- -i- -i- -i- -i- -i- 0.1 0.9 1.3 1.4 1.4 1.6 1.7 1.8 1.9 1.9 2.0 9.45 2.8 3.5 3.9 4.0 16.6 Renewable Resources Total 0.2 0.3 2.1 1.1 Source: Joint Committee on Taxation, annual tax expenditure tables, available at https://www.jct.gov/publications.html?func=select&id=5. Notes: All figures are forward looking estimates and do not reflect actual revenue losses. An “-i-“ indicates a positive revenue loss of less than $50 million. Before 2008, the JCT did not disaggregate the cost of the PTC for different energy resources. CRS-7 The Renewable Electricity Production Tax Credit: In Brief Cost of Extending the PTC Several estimates are available regarding the cost of extending the PTC. Extending the PTC through 2015, as proposed in the EXPIRE Act, would cost an estimated $13.3 billion over the 2014 to 2024 budget window.16 In September 2013, the JCT estimated the cost of extending the PTC for wind only.17 A17A one-year extension of the PTC for wind only, not extending the PTC for other technologies, had an estimated revenue cost of $6.2 billion over the 2014 to 2023 budget window, while a 5-year extension had an estimated revenue cost of $18.5 billion over the same time frame.18 Other available estimates look at the cost of a long-term PTC extension. The President’s FY2015 budget proposes to permanently extend the PTC, add solar to the list of qualifying technologies, and make the credit refundable. The Treasury estimates that the permanent PTC extension proposed by the president would reduce revenues by $19.3 billion between 2015 and 2024.19 In analysis of the President’s FY2014 budget, the JCT estimated enacting this policy would cost $24.7 billion between 2014 and 2023.20 The Congressional Budget Office (CBO) estimates that a permanent PTC (or a PTC extended through the budget horizon) would cost $28.4 billion between 2014 and 2024.21 Economic and Policy Considerations The PTC was enacted in 1992 to promote the “development and utilization of certain renewable energy sources.”22 The 1999 sunset was included to provide an “opportunity to assess the effectiveness of the credit.”23 When the PTC was extended as part of a “tax extenders” package in 1999, the Congress noted that the PTC had been important to the development of environmentally 16 See U.S. Congress, Joint Committee on Taxation, Estimated Revenue Effects of the Chairman’s Modification to the an Amendment in the Nature of a Substitute to H.R. 3474, the “Expiring Provisions Improvement, Reform, and Efficiency (EXPIRE) Act of 2014,” Scheduled for Markup by the Committee on Finance on April 3, 2014Consideration by the Senate, 113th Cong., April 3May 15, 2014, JCX-3251-14, available at https://www.jct.gov/ publications.html? func=startdown&id=45774601. 17 This estimate was provided as background for a Congressional hearing, U.S. Congress, House Committee on Oversight and Government Reform, Subcommittee on Energy Policy, Health Care and Entitlements, Oversight of the Wind Energy Production Tax Credit, 113th Cong., 1st sess., October 2, 2013, Serial No. 113-62. The revenue estimate was published in the hearing transcript, available at http://oversight.house.gov/wp-content/uploads/2014/02/2013-1002-Ser.-No.-113-62-SC-EP-Oversight-of-the-Wind-Energy-Prod.-Tax-Credit.pdf. 18 The 5-year cost estimate is less than five times the cost of the one-year estimate because a portion of the revenue cost of a 5-year extension falls outside of the budget window. Recall that the PTC is available for the first 10 years a qualifying facility produces electricity. Thus, with a 5-year extension of the PTC, which would allow a facility coming online in 2016 to qualify and receive tax credits through 2025. The budget window ends in 2023, meaning that revenue costs incurred after 2023 from the PTC extension are not included in JCT’s revenue estimate. 19 Department of the Treasury, General Explanations of the Administration’s Fiscal Year 2015 Revenue Proposals, Washington, DC, March 2014, http://www.treasury.gov/resource-center/tax-policy/Pages/general_explanation.aspx. 20 Of this total, $2.6 billion would be outlays for the refundable portion of the tax credit. 21 This estimate is provided as part of the CBO’s alternative fiscal scenario, where current policies are assumed to be continued. Estimates are generally provided to CBO by JCT. Additional information and detailed estimates are available at http://www.cbo.gov/publication/45010. 22 U.S. Congress, House Committee on Ways and Means, Comprehensive National Energy Policy Act, committee print, 102nd Cong., 2nd sess., May 5, 1992, H. Rept. 102-474, pp. 41-42. 23 Ibid. Congressional Research Service 8 The Renewable Electricity Production Tax Credit: In Brief friendly renewable power, and extended the credit to promote further development of wind (and other) resources.24 Recent extensions of the PTC reflect a belief that the tax incentives contribute to the development of renewable energy infrastructure, which advances environmental and energy policy goals.25 Research suggests that the PTC has driven investment and contributed to growth in the wind industry.26 While further extension of the PTC may lead to further investment and growth in wind infrastructure, this potential is limited in the case of short-term extensions. Further, retroactive extensions provide what are often characterized as windfall benefits, rewarding taxpayers that made investments absent tax incentives. While the PTC has contributed to increased use of renewable electricity resources, research suggests that its contribution to reducing greenhouse gas emissions is small. In a 2013 report, the National Academy of Sciences estimated that removing tax credits for renewable electricity would result in a 0.3% increase in power-sector emissions.27 A common rationale for government intervention in energy markets is the presence of “externalities,” which result in “market failures.”28 Pollution resulting from the production and consumption of energy creates a negative externality, as the costs of pollution are borne by society as a whole, not just energy producers and consumers. Because producers and consumers of polluting energy resources do not bear the full cost of their production (or consumption) choices, too much energy is produced (or consumed), resulting in a market outcome that is economically inefficient. Tax subsidies for clean energy resources are one policy option for addressing the inefficiencies and market failures in the energy sector.29 Here, the subsidies approach is not the most efficient way to achieve the policy objective.30 Subsidies reduce the average cost of energy, encouraging energy consumption, countering energy conservation initiatives and offsetting emissions 24 U.S. Congress, Joint Committee on Taxation, General Explanation of Tax Legislation Enacted in the 106th Congress, committee print, April 19, 2001, JCS-2-01, p. 25. 25 U.S. Congress, Joint Committee on Taxation, General Explanation of Tax Legislation Enacted in the 112th Congress, committee print, February 2013, JCS-2-13, pp. 212-213. 26 Several empirical studies estimate the effects of the PTC on wind investment and development. See Claudia Hitaj, “Wind Power Development in the United States,” Journal of Environmental Economics and Management, vol. 65 (2013), pp. 394-410; Xi Lu, Jeremy Tchou, Michael B. McElroy, and Chris P. Nielsen, “The Impact of Production Tax Credits on the Profitable Production of Electricity from Wind in the U.S.,” Energy Policy, vol. 39 (2011), pp. 42074214; Gilbert E. Metcalf, “Investment in Energy Infrastructure and the Tax Code,” in Tax Policy and the Economy, ed. Jeffery R. Brown, vol. 24 (National Bureau of Economic Research, 2010), pp. 1-33. For a discussion of other policy factors affecting wind markets, see CRS Report R42576, U.S. Renewable Electricity: How Does the Production Tax Credit (PTC) Impact Wind Markets?, by Phillip Brown. 27 William D. Nordhaus, editor, Stephen A. Merrill, editor, and Paul T. Beaton, editor, Effects of U.S. Tax Policy on Greenhouse Gas Emissions, National Academy of Sciences, Washington, DC, 2013, p. 68. 28 For a more detailed discussion of the economic rationale for intervention in energy markets, see U.S. Congress, Joint Committee on Taxation, Present Law and Analysis of Energy-Related Tax Expenditures, committee print, 112th Cong., March 23, 2012, JCX-28-12. 29 There are also non-tax options, such as regulations and mandates, which are beyond the scope of this report. 30 Metcalf, Gilbert E. 2008. “Using Tax Expenditures to Achieve Energy Policy Goals.” American Economic Review, 98(2): 90-94. Congressional Research Service 9 The Renewable Electricity Production Tax Credit: In Brief reductions.31 Tax subsidies also reduce tax revenues. To the extent that these subsidies are financed by distortionary taxes on other economic activities, they reduce economic efficiency.32 A more direct and economically efficient approach to addressing pollution and environmental concerns in the energy sector would be a direct tax on pollution or emissions, such as a carbon tax.33 This option would generate revenues that could be used to offset other distortionary taxes, achieve distributional goals, or reduce the deficit. A carbon tax approach would also be “technology neutral,” not requiring Congress to select which technologies to subsidize.34 Tax incentives are also not the most efficient mechanism for delivering federal financial support directly to renewable energy developers and investors. Stand-alone projects often have limited tax liability. Thus, project developers often seek outside investors to “monetize” tax benefits using “tax-equity” financing arrangements.35 The use of tax equity investors, often major financial institutions, reduces the amount of federal financial support for renewable energy that is delivered directly to the renewable energy sector.36 Another consideration is the interaction of the PTC with other policies designed to support the development of renewable electricity resources.37 More than half of U.S. states currently have renewable portfolio standards (RPS) policies in place.38 Subsidies for renewable energy at the federal level, including the PTC, reduce the cost of complying with state-level RPS mandates. Policy Options and Proposals Several policy options are related to the PTC (see Table 5). Without legislative action, the PTC will not be available to projects that began construction after December 31, 2013. One option is to 31 The 2013 National Academy of Sciences report notes how tax credits for renewable electricity increase overall electricity demand. 32 Gilbert E. Metcalf, “Federal Tax Policy towards Energy,” Tax Policy and the Economy, vol. 21 (2007), pp. 145-184. 33 For general background on the carbon tax option, see CRS Report R42731, Carbon Tax: Deficit Reduction and Other Considerations, by Jonathan L. Ramseur, Jane A. Leggett, and Molly F. Sherlock. 34 The Baucus Energy Tax Reform discussion draft (discussed below) proposes “technology neutral” incentives for clean energy resources. For a discussion of the challenges associated with achieving technology neutrality using the subsidies approach, see testimony of Gilbert E. Metcalf before the Senate Committee on Finance, Technology Neutrality in Energy Tax: Issues and Options, April 23, 2009, available at http://www.finance.senate.gov/imo/media/ doc/042309gmtest.pdf. For a discussion of how the Baucus draft fails to achieve technology neutrality, see Martin Sullivan, “Economic Analysis: Why the Baucus Draft Falls Short,” Tax Notes, January 6, 2013, pp. 59-64. 35 For more on the use of tax-equity financing in the renewable energy sector, see Bloomberg New Energy Finance, The Return - and Returns - of Tax Equtiy for US Renewable Projects, November 21, 2011, http://about.bnef.com/whitepapers/the-return-and-returns-of-tax-equity-for-us-renewable-projects/. 36 Low-income housing tax credit (LIHTC) recipients have relied on “syndicators” to facilitate tax-equity partnerships since the credit was enacted in 1986. Carlson and Metcalf (2008) found that firms taking the PTC also tended to claim substantial amounts of LIHTCs, providing early evidence of the use of tax-equity in the renewable energy sector as well. Equity provided for LIHTCs tends to fluctuate between the mid-$0.80s to low-$0.90s per $1.00 tax credit. See CRS Report RS22389, An Introduction to the Low-Income Housing Tax Credit, by Mark P. Keightley. 37 In addition to other policies, market factors, such as natural gas prices affect wind development. See CRS Report R42576, U.S. Renewable Electricity: How Does the Production Tax Credit (PTC) Impact Wind Markets?, by Phillip Brown. 38 For a map summarizing recent standards across states, see http://www.dsireusa.org/documents/summarymaps/ RPS_map.pdf. Congressional Research Service 10 The Renewable Electricity Production Tax Credit: In Brief allow the PTC to remain expired, not allowing any additional projects to qualify for the PTC. Under this option, projects that were placed in service before January 1, 2014, or qualifying projects for which construction began in 2013, may still receive the PTC for their first 10 years of qualified production. Another option would be to provide a temporary extension of the PTC, similar to what has been enacted in the past. With this option, the construction start date deadline could be extended by a set number of years (the Tax Extenders Act of 2013 (S. 1859) proposes a one-year extension, while the Expiring Provisions Improvement, Reform, and Efficiency (EXPIRE) Act of 2014, which was voted reported by the Senate Finance Committee on April 3, 2014, (S. 2260) proposes a twoyeartwo-year extension). Should Congress choose to enact a short-term “tax extenders” package, the PTC construction start date may be extended for the same number of years as other expired tax provisions (typically one or two years). Table 5. PTC Policy Options and Proposals (billions of dollars) Policy Option Recent Proposals Allow the PTC to Remain Expired Current Law Temporary Extension Tax Extenders Act of 2013 (S. 1859) The Expiring Provisions Improvement, Reform, and Efficiency (EXPIRE) Act of 2014 (S. 2260) Estimated Revenue Consequences (10-year)a $0.0 -$6.2 (1-year extension for wind only) -$13.3 Temporary Extension with PhaseOut PTC Certainty and Phaseout Act of 2013 (H.R. 2987) and the No More Excuses Energy Act of 2013 (H.R. 2081) n.a. Eliminate Inflation Adjustment Factor and Repeal The Tax Reform Act of 2014 (discussion draft) $9.6 Permanent Extension with Refundability The President’s FY2015 Budget Proposal Fundamental Reform (“TechnologyNeutral” PTC Option) Baucus Energy Tax Reform Discussion Draft -$19.3 n.a. Source: CRS. See text for additional information and source details. a. A negative (positive) figure indicates that the option would reduce (increase) federal revenues, relative to current law. Some have proposed that the PTC be extended, but that some form of phase-out accompany the extension.39 The PTC Certainty and Phaseout Act of 2013 (H.R. 2987), for example, would 39 extend the PTC through 2019, but decrease the value of the PTC for projects that begin construction after 2014.40 39 While current law includes a phase-out should electricity prices exceed a certain threshold, this phase-out is very unlikely to occur in practice. For a discussion of various phase-out options, see CRS Report R43340, Production Tax Credit Incentives for Renewable Electricity: Financial Comparison of Selected Policy Options, by Phillip Brown. Congressional Research Service 11 The Renewable Electricity Production Tax Credit: In Brief extend the PTC through 2019, but decrease the value of the PTC for projects that begin construction after 2014.40 40 Similar provisions are included in the No More Excuses Energy Act of 2013 (H.R. 2081). Congressional Research Service 11 The Renewable Electricity Production Tax Credit: In Brief House Ways and Means Committee Chairman Dave Camp proposed a different form of PTC phase-out as part his tax reform discussion draft, the Tax Reform Act of 2014.41 Under this proposal, the construction start date would not be extended, meaning that no new facilities would be eligible for the PTC. The PTC inflation adjustment factor would also be eliminated. This would reduce the value of the PTC for renewable electricity to 1.5 cents per kWh, for all PTCeligible properties still within the 10-year eligibility window. Thus, facilities that had received a 2.3 cent per kWh PTC in 2014, and were still within their 10-year PTC window in 2015, would see the value of the PTC fall to 1.5 cents per kWh for 2015 and beyond. Under Chairman Camp’s proposal, the PTC would be fully repealed after 2024. Because the value of the PTC would be reduced for existing facilities, the JCT estimates that this proposal would raise $9.6 billion in additional federal revenues between 2014 and 2023, relative to current law. The President’s FY2015 Budget proposes a permanent extension of the PTC.42 Additionally, the PTC would be made refundable, solar facilities would be added as qualifying property, and the credit would be modified such that renewable electricity consumed by the producer could qualify for tax credits. The proposal would repeal the permanent 10% investment tax credit (ITC) for solar and geothermal property, as well as the temporary 30% credit for other types of energy property. A more fundamental or sweeping reform of energy tax incentives has also been proposed. In December 2013, then Senate Finance Committee Chairman Max Baucus released an Energy Tax Reform discussion draft.43 The draft proposed a PTC at current levels (2.3 cents per kWh for 2013, adjusted for inflation) for zero emissions generation, with the option to elect a 20% ITC in lieu of the PTC. The credit amounts would be reduced for low emissions facilities, and facilities with emissions in excess of 372 grams of CO2e per kWh would not be eligible for credits. The credit would remain available until the average annual greenhouse gas emissions rate for electrical production facilities in the United States reaches 372 grams of CO2e per kWh (a 25% reduction from current levels), at which point the credit would phase-out. Author Contact Information Molly F. Sherlock Specialist in Public Finance msherlock@crs.loc.gov, 7-7797 40 Similar provisions are included in the No More Excuses Energy Act of 2013 (H.R. 2081). Acknowledgments The author would like to thank Jeffrey Stupak, Research Assistant in the Government Finance and Taxation Section at the Congressional Research Service, for assistance in updating this report. 41 For more information, see http://tax.house.gov/. 42 For more information, see Department of the Treasury, General Explanations of the Administration’s Fiscal Year 2015 Revenue Proposals, Washington, DC, March 2014, available at http://www.treasury.gov/resource-center/taxpolicy/Pages/general_explanation.aspx. 43 For more information, see U.S. Congress, Joint Committee on Taxation, Technical Explanation of the Senate Committee on Finance’s Staff Discussion Draft to Reform Certain Energy Tax Provisions, committee print, 113th Cong., December 18, 2013, JCX-21-13, available at https://www.jct.gov/publications.html?func=startdown&id=4537. 4142 Congressional Research Service 12