IRS Notice 2026 15: What the New FEOC Guidance Means for Your Deals | McDermott Skip to main content

IRS Notice 2026 15: What the New FEOC Guidance Means for Your Deals

IRS Notice 2026 15: What the New FEOC Guidance Means for Your Deals

Overview


Join us as we break down IRS Notice 2026 15 and the latest updates to the Foreign Entity of Concern (FEOC) rules. In this session, we’ll recap the new guidance, discuss its impact on project development and transactional structuring, and walk through what stakeholders must do now to remain compliant and protect tax credit eligibility.

We’ll cover:

  • What’s new in Notice 2026 15 and how it fits into the broader FEOC framework
  • Transaction level impacts for developers, investors, and lenders
  • Compliance strategies and diligence considerations under the updated rules
  • What market participants should anticipate as Treasury continues to refine FEOC guidance

Registration Information

Tuesday, February 17, 2026
11:30 am – 12:00 pm EST

Webinar

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