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All lobbying filings

WILLIAMS AND JENSEN, PLLC

Lobbying for CARBON MANAGEMENT ALLIANCE (FORMERLY CALLED ENERGY ADVANCE CENTER) · Ad hoc coalition supporting carbon capture, utilization, and storage (CCUS) in the US.

 Filing 4th Quarter - Report
Reporting period
4th Quarter 2025
Oct 1 - Dec 31 · Posted Jan 20, 2026
Income
$40,000.00
What the client paid this registrant for the period.
Client based in
District of Columbia

Official filing document

 Government bodies contacted 3
  • Environmental Protection Agency (EPA)
  • HOUSE OF REPRESENTATIVES
  • SENATE

The chambers, agencies and offices the filer named. It does not say who inside them was contacted, or when.

 Lobbying activity 3
Energy/Nuclear

Tax issues including Section 45Q and Section 38 General Business Tax Credits pertaining to CCUS. Statutory and regulatory improvements to facilitate broad and expeditious implementation of CCUS technology and related CO pipelines in the US reflected in the provisions of the reconciliation, "Inflation Reduction Act of 2022" (PL 117-169) and infrastructure bills. Permitting reform legislation relating to EPA UIC Class VI wells, including improvements in EPA permitting for Class VI wells and EPAs expedition of consideration of applications for Class VI primacy for states under EPAs UIC program; Assessment of implications for continued eligibility of geologic sequestration projects for 45Q tax credits due to EPA proposed repeal of Subpart RR of its GHG Reporting Regulations; File comments in EPAs proposed GHG Reporting Regulation rule making docket regarding implications for proposed repeal of Subpart RR on eligibility for 45Q tax credits.

Taxation/Internal Revenue Code

Tax issues including Section 45Q and Section 38 General Business Tax Credits pertaining to CCUS; ; implementation of and guidance on related provisions enacted in PL 119-21. Guidance related to Section 45Q provisions amended in, "Inflation Reduction Act of 2022" (PL 117-169); Assessment of implications for continued eligibility of geologic sequestration projects for 45Q tax credits due to EPA proposed repeal of Subpart RR of its GHG Reporting Regulations; File comments in EPAs proposed GHG Reporting Regulation rule making docket regarding implications for proposed repeal of Subpart RR on eligibility for 45Q tax credits.

Environment/Superfund

Tax issues including Section 45Q and Section 38 General Business Tax Credits pertaining to CCUS. Statutory and regulatory improvements to facilitate broad and expeditious implementation of CCUS technology and related CO pipelines in the US reflected in the provisions of the reconciliation, "Inflation Reduction Act of 2022" (PL 117-169) and infrastructure bills. Permitting reform legislation relating to EPA UIC Class VI wells, including improvements in EPA permitting for Class VI wells and EPAs expedition of consideration of applications for Class VI primacy for states under EPAs UIC program. ; Assessment of implications for continued eligibility of geologic sequestration projects for 45Q tax credits due to EPA proposed repeal of Subpart RR of its GHG Reporting Regulations; File comments in EPAs proposed GHG Reporting Regulation rule making docket regarding implications for proposed repeal of Subpart RR on eligibility for 45Q tax credits.

 Affiliated organizations 3

Section 6 of the LD-2: organizations that contribute to this lobbying or take an active part in directing it. On a trade association's filing, this is where its backers appear.

  • BKV CORP
    Denver, Colorado
  • EXXONMOBIL LOW CARBON SOLUTIONS
    Irving, Texas
  • KINDER MORGAN, INC.
    Houston, Texas

Source: federal Lobbying Disclosure Act filing, reproduced as filed. Bills are parsed from the activity descriptions.

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