Abstract
Master Limited Partnerships (MLPs) and Real Estate Investment Trusts (REITs) are two proposed investment vehicles which have the potential to lower renewable energy assets' high cost of capital; a critical factor in the Department of Energy's goal for renewable energy to achieve grid-parity with traditional sources of electric generation. Due to current U.S. federal income tax laws, regulations,and administrative interpretations, REITs and MLPs cannot finance a significant portion of the cost of renewable energy assets. Efforts are underway to alter these rules by changing the definition of 'real property' (REIT) and 'qualified income' (MLP). However, even with rule changes, both investment vehicles have structural challenges to efficiently finance renewable energy assets. Among themare 1) effectively utilizing the U.S. federal income tax incentives; 2) administratively structuring the investments to not be overly onerous or complicated, given the potential for pooling a relatively large amount of small assets; and 3) attracting and retaining a large enough investment community to participate in the funding opportunities. This report summarizes these challenges so that ifproposed federal changes are made, stakeholders have an understanding of the possible outcomes.
Original language | American English |
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Number of pages | 36 |
DOIs | |
State | Published - 2013 |
NREL Publication Number
- NREL/TP-6A20-60413
Keywords
- investment tax credit (ITC)
- master limited partnership
- MLP
- production tax credit
- project finance
- public capital
- public finance
- real estate investment trust
- REIT
- securitization
- solar financing
- tax equity
- Treasury 1603