This QuickTalk will be led by Andrew Rubin, Managing Director at Willis Towers Watson, and will explore how tax insurers are approaching coverage for the new requirements associated with Section 48E credits following passage of the OBBBA. The session will focus on how underwriting frameworks are adapting, including evolving diligence expectations around qualification, documentation, and compliance with emerging rules. It will highlight what sponsors and investors can do today to position transactions for insurability, while also examining areas of uncertainty that remain pending additional Treasury guidance. The discussion will look ahead to how the market is expected to develop as guidance is released, with an emphasis on practical considerations, risk allocation, and the growing role of tax insurance in supporting credit monetization.
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