On the recordJuly 29, 2005
I would also like to ask the distinguished Chairman of the Committee on Finance to confirm that steel industry fuel is a ``qualified fuel'' that is eligible for the section 29 nonconventional fuel tax credit through 2007 when one, the production facility was placed in service after 1992 and before July 1, 1998, pursuant to a binding written contract--including a supply or service contract for the processing of coal waste sludge--and, two, the steel industry fuel is sold to an unrelated party.
Source
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