HR2940-119

In Committee

Advancing Water Reuse Act

119th Congress Introduced Apr 17, 2025

Summary

What This Bill Does

The Advancing Water Reuse Act adds new section 48F to the Internal Revenue Code. It creates a 30 percent qualifying water reuse project credit based on the qualified investment in tangible depreciable property placed in service as part of a qualifying project. Eligible projects include onsite water recycling systems in industrial, manufacturing, data center, or food processing facilities; replacing freshwater such as groundwater with recycled water from a municipal provider for production or services; and building or expanding municipal water recycling systems to secure recycled water for production. The bill also includes a special transfer-property rule that lets the person transferring qualified property to a utility claim the credit under a binding written agreement, and it sunsets eligibility for property whose construction begins after December 31, 2032.

Who Benefits and How

Industrial facilities benefit because onsite water recycling equipment can qualify for a 30 percent investment credit. Manufacturing facilities benefit if recycled municipal water replaces freshwater in production processes. Data centers benefit from a tax incentive to reduce freshwater demand through qualifying reuse systems. Municipal water utilities benefit indirectly because customers have a federal incentive to build or expand systems that secure recycled water supplies.

Who Bears the Burden and How

The Internal Revenue Service must administer a new section 48F credit, transfer-property rule, and construction-start sunset. Federal taxpayers bear the cost of a new investment tax credit for qualifying water reuse property. Utilities receiving transferred property must coordinate binding written agreements so the correct party claims the credit. Project developers must document qualified investment, original use, depreciable property status, and qualifying water reuse purpose.

Key Provisions

  • Creates a 30 percent qualifying water reuse project investment credit under new section 48F.
  • Defines qualifying projects to include onsite recycling, recycled municipal water substitution, and municipal recycling systems for production use.
  • Provides a special rule for qualified property transferred to utilities under a binding written agreement.
  • Limits the credit to property whose construction begins before January 1, 2033.

Evidence Chain:

This summary is generated from the full bill text using AI analysis. Expand "Detailed Analysis" below for identified beneficiaries/burden bearers with clause-level evidence links.

At a Glance

What This Bill Does

Creates a 30 percent investment tax credit for qualifying water reuse projects involving onsite industrial recycling systems, recycled municipal water use, or municipal recycling systems built to supply production activity, with a construction-start cutoff after December 31, 2032.

Key Policy Areas

Tax, Water, Manufacturing, Infrastructure

Primary Purpose

Creates a 30 percent investment tax credit for qualifying water reuse projects involving onsite industrial recycling systems, recycled municipal water use, or municipal recycling systems built to supply production activity, with a construction-start cutoff after December 31, 2032.

Policy Domains

Tax Water Manufacturing Infrastructure

Resolution provisions

Identified Gains
  • Industrial facilities
  • Manufacturing facilities
  • Data centers
  • Municipal water utilities
Model: codex-gpt-5 | Version: bill_summary_v2 | Source: ih
Data centers: ,
Industrial facilities: ,
Manufacturing facilities: ,
Municipal water utilities: ,
Identified Costs
  • Internal Revenue Service
  • Federal taxpayers
  • Utilities receiving transferred property
  • Water reuse project developers
Model: codex-gpt-5 | Version: bill_summary_v2 | Source: ih
Federal taxpayers: ,
Internal Revenue Service: ,
Water reuse project developers: ,
Utilities receiving transferred property: ,

Legislative Progress

In Committee
Introduced Committee Passed
Apr 17, 2025

Mr. LaHood (for himself, Ms. Sánchez, Ms. Tenney, and Mr. …

Apr 17, 2025

Referred to the House Committee on Ways and Means.

Apr 17, 2025

Introduced in House

Stakeholder Effects

cui bono?

How this legislation distributes effects. Mention counts reflect frequency, not effect magnitude.

Manufacturing
4 mentions across 2 clauses
+4 positive

Industrial facilities, Manufacturing facilities

Technology
2 mentions across 2 clauses
+2 positive

Data centers

Utilities
2 mentions across 2 clauses
+2 positive

Municipal water utilities

Government
2 mentions across 2 clauses
-2 negative

Internal Revenue Service

Taxpayers
2 mentions across 2 clauses
-2 negative

Taxpayers

2/3
sections analyzed
Full impact breakdown

Bill Structure & Actor Mappings

Who is "The Secretary" in each section?

Domains
Tax Water Manufacturing Infrastructure

We use a combination of our own taxonomy and classification in addition to large language models to assess meaning and potential beneficiaries. High confidence means strong textual evidence. Always verify with the original bill text.

Learn more about our methodology