ZETA provided the following comments to the IRS and Treasury Department conveying ZETA's stance that implementation of FEOC requirements under the 30D tax credit is stringent but workable and that industry is in the process of onshoring/friendshoring supply chains to bring them into FEOC compliance. The comment also elevates previous ZETA comments to the Department of Energy on its interpretation of the FEOC language in the Bipartisan Infrastructure Law. [Full Text Here]