Amends the Internal Revenue Code to exempt regulated electric utility companies from recapture of investment tax credit amounts used to fund tax credit employee stock ownership plans (TRASOP) when such recapture has been triggered by Government or court action, or by the sale of extra generating capacity to another regulated public utility. Limits such exemption to TRASOP credits that are based on qualified progress expenditures (progress payments for construction jobs requiring two or more years to finish).
Permits the recovery of previously recaptured investment tax credit amounts.
Introduced in House
Introduced in House
Referred to House Committee on Ways and Means.
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