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GREAT NECK WATER POLLUTION CONTROL DISTRICT NASSAU COUNTY, NEW YORK MICROTURBINE INSTALLATION FEASIBILITY STUDY

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GREAT NECK WATER POLLUTION CONTROL DISTRICT NASSAU COUNTY, NEW YORK MICROTURBINE INSTALLATION FEASIBILITY STUDY ( great-neck-water-pollution-control-district-nassau-county-ne )

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Supercritical Carbon Dioxide Circulated EGS Combined with IGCC in New Mexico 9.0 Economics 9.1 Introduction: There are distinct advantages of coupling a scCO2 EGS to an IGCC power plant. There are considerable taxes, loans, and CO2 credits benefits that are associated with both technologies that will lower the cost of electric generation. In addition to these strictly governmental created incentives there is a strong possibility to avoid duplication of different process units which will create cost savings regardless of political climates. It is the goal of this project to create a power plant system that is economically feasible with minimal government mandated support. 9.2 Governmental Derived Incentives: This form of recovering some of the funds from operation is being explored. The IGCC- EGS project has to qualify to have a stable income from this program. Form 8933 of the Department of the Treasury Internal Revenue Service is the Carbon Dioxide Sequestration Credit program application. A credit of $10 per metric ton for qualified carbon dioxide captured and used is awarded to the facility. Similarly, a sum of $20.24 per ton is awarded to a facility that captures and disposes of CO2. The form defines Qualified CO2 as ―...Carbon dioxide captured after October 3, 2008, from an industrial source that would otherwise be released into the atmosphere as industrial emission of greenhouse gas, and is measured at the source of capture and verified at the point of disposal or injection. Qualified carbon dioxide also includes the initial deposit of captured carbon dioxide used as a tertiary injectant. However, it does not include carbon dioxide that is re-captured, recycled, or otherwise re-injected as part of the enhanced oil and natural gas recovery process. Qualified carbon dioxide does not include carbon dioxide that is captured and sequestered in a project to the extent required under an agreement executed with the IRS under the qualifying advanced coal project program of section 48A or the qualifying gasification project program of section 48B.‖ Similarly, a qualified facility is defined as ―...any industrial facility that is owned by the taxpayer where carbon capture equipment is placed in service and that captures at least 500,000 metric tons of carbon dioxide during the tax year.‖ If this project qualifies under the applicable rules and assuming there isn‘t a cap in place for the monetary reward structure, capturing and using approximately 4.35 Million tons of CO2 at a rate of $10.12 will project in annual earnings of $44 Million. Capturing and disposing off about 10% of 4.35 Million tons in the form of underground sequestration will earn $20.24 per ton generating approximately $8 Million. Annual earnings from CO2 can amount to nearly $50 Million. Penn State University | 9.0 Economics 104

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