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Timothy L. Jacobs

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Washington,  DC  U.S.A.
Phone804-788-8362

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Experience & Credentials
 

Practice Areas

  • Taxation
     
    University Washington & Jefferson College, B.A., cum laude, 1997
     
    Law SchoolDuquesne University School of Law, J.D., magna cum laude, 2000; New York University School of Law, LL.M., Taxation, 2001
     
    Admitted2000, Pennsylvania; 2004, U.S. Tax Court; 2005, District of Columbia; 2006, Virginia
     
    Memberships Federal (Member, Tax Section) and American (Member, Tax Section) Bar Associations; The District of Columbia Bar (Member, Tax Section).
     
    BornWaynesburg, Pennsylvania, July 25, 1975
     
    ISLN918255127
     

    Documents by this lawyer on Martindale.com

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    IRS Interprets Special Exception Applicable to Renewable Energy Projects in Puerto Rico and Other U.S. Possessions
    Timothy L. Jacobs,Laura Ellen Jones,David S. Lowman, September 21, 2011
    The IRS recently released a private letter ruling that a renewable energy project located in a U.S. possession qualified for the investment tax credit and accelerated depreciation. The ruling addresses a key legal issue for renewable energy projects, namely whether a project owned by a U.S....

    IRS Declines Appeal of Street Light Issue in PPL Case: Assets Fall into Residual Class for Depreciation Unless Specifically Included in Another Asset Class
    Mark B. Bierbower,Timothy L. Jacobs,David S. Lowman,Richard Edward May, July 11, 2011
    On July 28, 2010, in PPL Corporation & Subsidiaries v. Commissioner of Internal Revenue, 135 T.C. No. 8, the United States Tax Court held that street light assets owned and depreciated by an electric utility do not constitute assets used in the distribution of electricity for sale (20-year...

    Treasury Releases Guidance Describing Process for Evaluating Cost Basis for Treasury Grant Purposes
    Timothy L. Jacobs,Laura Ellen Jones,David S. Lowman, July 11, 2011
    On June 30, 2011, the Treasury Department released guidance describing the process for evaluating the cost basis of projects qualifying for a Treasury Grant under Section 1603 of the American Recovery and Reinvestment Act. The guidance “outlines the process used by the Section 1603 team to...
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    Office Information

    Timothy L. Jacobs
    Hunton & Williams LLP
    2200 Pennsylvania Avenue, NW
    Washington, DC 20037




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