On Monday, March 30, 2026, NYU’s Tax Law Center is hosting a webinar on the prohibited foreign entity (PFE) rules applicable to clean energy credits. Details below the fold.
Webinar: Applying Business Tax Concepts to PFE Analysis
Event Details: March 30, 2026, from 1:00 pm to 2:00 pm ET
Registration: https://taxlawcenter.org/events/webinar-applying-business-tax-concepts-to-pfe-analysis
Description:
Following new guidance on prohibited foreign entity (PFE) rules, the Tax Law Center is hosting a webinar on core business tax concepts that are now relevant to claiming clean energy credits but may not be familiar to energy tax practitioners and taxpayers. The panel will be moderated by Alice Lin, Senior Advisor in Tax at the Natural Resources Defense Council, and feature Kyle Sweeney and Miles Johnson of the Tax Law Center and Ted Lee, senior principal at Crux.
In this webinar, we will offer our perspective and lessons learned on how taxpayers should think about constructive ownership under section 318 of the Code, what “reason to know” means, and other key questions relating to the PFE rules. . . .
The Tax Law Center recently published a post breaking down what’s in the guidance, first describing some key clarifications, followed by a closer look at the details: Treasury releases first round of prohibited foreign entity guidance.




