Tax Normalization, Net Operating Losses, and Intercompany Tax Allocation Payments

Brad M. Seltzer
Brad M. Seltzer
Holland & Knight

Bradley Seltzer is a tax attorney in Holland & Knight's Washington, D.C., and Newport Beach offices. Mr. Seltzer brings more than 40 years of experience representing Fortune 100 utility, energy and telecommunications (telecom) clients in complex tax matters, including tax planning, accounting and controversy. He defends clients in large tax disputes with the IRS at the trial and appellate court levels, and prepares private letter rulings, technical advice requests and accounting method changes for the IRS.

Mary Kate Nicholson
Mary Kate Nicholson
Holland & Knight

Mary Kate Nicholson is a tax attorney in Holland & Knight's Washington, D.C., office. Ms. Nicholson advises clients in federal tax planning, including mergers and acquisitions (M&A), restructurings and spinoffs, in issuing and obtaining tax credit insurance, as well as in tax controversy matters before the IRS, particularly in the renewable energy and utilities sectors.

On-Demand: August 28, 2024

2 hour CLE

Tuition: $195.00
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Program Summary

This program will delve into the complex intersection of tax normalization, net operating losses, and intercompany tax allocation payments in the context of cost of service/rate of return utility ratemaking. Attendees will gain a comprehensive understanding of the normalization of federal tax benefits, including accelerated depreciation and investment tax credits, and the consequences of net operating losses on utility ratemaking.

The program will also explore the treatment of intercompany tax allocation payments under normalization, including the recent IRS private letter ruling that prohibits the reduction of net operating loss carryforwards by such payments. Finally, the program will discuss the path forward in resolving the inconsistent views of FERC and the IRS on these issues, providing attorneys with the knowledge and insights needed to navigate this complex area of utility ratemaking.

Key topics to be discussed:

  • The Basics of Cost of Service/Rate of Return Utility Ratemaking
  • Normalization of Federal Tax Benefits (Accelerated Depreciation and Investment Tax Credits)
  • The Normalization Consequences of Net Operating Losses
  • The Treatment of Intercompany Tax Allocation Payments under Normalization
  • The Path Forward: Resolving the inconsistent views of FERC and the IRS

Closed-captioning available

Speakers

Brad M. Seltzer_MyLawCLEBrad M. Seltzer | Holland & Knight

Brad.Seltzer@hklaw.com

Bradley Seltzer is a tax attorney in Holland & Knight’s Washington, D.C., and Newport Beach offices. Mr. Seltzer brings more than 40 years of experience representing Fortune 100 utility, energy and telecommunications (telecom) clients in complex tax matters, including tax planning, accounting and controversy. He defends clients in large tax disputes with the IRS at the trial and appellate court levels, and prepares private letter rulings, technical advice requests and accounting method changes for the IRS.

Mr. Seltzer has extensive experience testifying at public hearings and providing written comments on behalf of clients regarding notices and proposed regulations that affect the utility industry, such as interest synchronization, consolidated tax adjustments, the normalization consequences of dispositions or deregulation, nuclear decommissioning issues, and incentives enacted as part of the Inflation Reduction Act (IRA). He also counsels on tax saving strategies, including qualifying for the tax incentives enacted as part of the IRA, and manages complex tax refund claims, audits, appeals and litigation. Mr. Seltzer also serves as an expert witness in federal and state ratemaking proceedings regarding deferred taxes, normalization and consolidated returns, and also assists client witnesses in preparing their testimony in such rate cases.

In addition, Mr. Seltzer is a frequent speaker on utility and telecom tax topics at various industry conferences as well as before various trade associations and professional organizations, including the American Bar Association (ABA) Section of Taxation, Edison Electric Institute (EEI), American Gas Association (AGA), National Association of Regulatory Utility Commissioners (NARUC) and the IRS.

Prior to joining Holland & Knight, Mr. Seltzer was a tax partner for a global law firm in its Washington, D.C., office.

 

Mary Kate Nicholson_MyLawCLEMary Kate Nicholson | Holland & Knight

MaryKate.Nicholson@hklaw.com

Mary Kate Nicholson is a tax attorney in Holland & Knight’s Washington, D.C., office. Ms. Nicholson advises clients in federal tax planning, including mergers and acquisitions (M&A), restructurings and spinoffs, in issuing and obtaining tax credit insurance, as well as in tax controversy matters before the IRS, particularly in the renewable energy and utilities sectors.

Ms. Nicholson also focuses her practice in the renewable energy sector, and advises clients on tax credits such as investment tax credits (ITCs), production tax credits (PTCs), carbon capture, hydrogen, electric vehicle, and fuels and other energy tax credits. She represents clients in the traditional and renewable energy sectors in legislative and regulatory efforts, including in obtaining public and private guidance from the U.S. Department of the Treasury and the IRS.

Ms. Nicholson also advises clients with respect to Section 529 qualified tuition plans and other education-savings accounts, as well as various other individual and corporate tax matters.

In addition to her client work, Ms. Nicholson is heavily involved in pro bono work, assisting 501(c)(3) entities and individuals in tax matters.

Prior to joining Holland & Knight, Ms. Nicholson was a tax attorney for a global law firm in its Washington, D.C., office.

Ms. Nicholson also served as a judicial intern for the Honorable Kaye G. Hearn of the South Carolina Supreme Court. In this role, she prepared bench memos concerning various issues, including the statutory interpretation of “gross income” in a municipal ordinance as related to federal and state tax code.

While in law school, Ms. Nicholson was executive editor of the Washington and Lee Law Review.

Agenda

I. The Basics of Cost of Service/Rate of Return Utility Ratemaking | 2:00pm – 2:20pm

II. Normalization of Federal Tax Benefits (Accelerated Depreciation and Investment Tax Credits) | 2:20pm – 2:40pm

III. The Normalization Consequences of Net Operating Losses |  2:40pm – 3:00pm

Break | 3:00pm – 3:10pm

IV. The Treatment of Intercompany Tax Allocation Payments under Normalization | 3:10pm – 3:40pm

V. The Path Forward: Resolving the inconsistent views of FERC and the IRS | 3:40pm – 4:10pm

Credits

Alaska

Approved for CLE Credits
2 General

Our programs are CLE-eligible through Alaska's recognition of multi-jurisdictional reciprocity.
Alabama

Pending CLE Approval
2 General

Arkansas

Approved for CLE Credits
2 General

Our programs are CLE-eligible through Arkansas's recognition of multi-jurisdictional reciprocity.
Arizona

Approved for CLE Credits
2 General

California

Approved for CLE Credits
2 General

Colorado

Pending CLE Approval
2 General

Connecticut

Approved for CLE Credits
2 General

District of Columbia

No MCLE Required
2 General hours

Delaware

Pending CLE Approval
2 General

Florida

Approved via Attorney Submission
2.5 General

Receive CLE credit in Florida via attorney submission.
Georgia

Approved for CLE Credits
2 General

Hawaii

Approved for CLE Credits
2 General

Iowa

Pending CLE Approval
2 General

Idaho

Pending CLE Approval
2 General

Illinois

Pending CLE Approval
2 General

Indiana

Pending CLE Approval
2 General

Kansas

Pending CLE Approval
2 General

Kentucky

Pending CLE Approval
2 General

Louisiana

Pending CLE Approval
2 General

Massachusetts

No MCLE Required
2 General hours

Maryland

No MCLE Required
2 General hours

Maine

Pending CLE Approval
2 General

Michigan

No MCLE Required
2 General hours

Minnesota

Approved for Self-Study Credits
2 General

Missouri

Approved for Self-Study Credits
2.4 General

Mississippi

Pending CLE Approval
2 General

Montana

Pending CLE Approval
2 General

North Carolina

Pending CLE Approval
2 General

North Dakota

Approved for CLE Credits
2 General

Our programs are CLE-eligible through North Dakota’s recognition of multi-jurisdictional reciprocity. Section 1, Policy 1.14
Nebraska

Pending CLE Approval
2 General

myLawCLE reports attendance to Nebraska on each attorney's behalf for all programs. Please do not self-report.
New Hampshire

Approved for CLE Credits
2 General

As of July 1, 2014, the NHMCLE Board no longer provides pre- or post-approval of courses. Attendees must self-determine whether a program is eligible for credit, and self-report their attendance online at www.nhbar.org, based on qualification provisions of Rule 53.
New Jersey

Approved for CLE Credits
2.4 General

Our programs are CLE-eligible through New Jersey's recognition of multi-jurisdictional reciprocity, except for the courses required under BCLE Reg. 201:2
New Mexico

Approved for Self-Study Credits
2 General

Nevada

Pending CLE Approval
2 General

New York

Approved for CLE Credits
2.4 General

Our programs are CLE-eligible through New York’s Approved Jurisdiction Group “A”.
Ohio

Pending CLE Approval
2 General

Oklahoma

Pending CLE Approval
2.5 General

Oregon

Pending CLE Approval
2 General

Pennsylvania

Approved for Self-Study Credits
2 General

Rhode Island

Pending CLE Approval
2.5 General

South Carolina

Pending CLE Approval
2 General

South Dakota

No MCLE Required
2 General hours

Tennessee

Approved for Self-Study Credits
2 General

Texas

Approved for CLE Credits
2 General

Utah

Pending CLE Approval
2 General

Virginia

Not Eligible
2 General hours Hours

Vermont

Approved for CLE Credits
2 General

Washington

Approved via Attorney Submission
2 Law and Legal

Receive CLE credit in Washington via attorney submission.
Wisconsin

Approved for Self-Study Credits
2 General

West Virginia

Pending CLE Approval
2.4 General

Wyoming

Pending CLE Approval
2 General

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