David Lowman

Hunton Andrews Kurth LLP

David S. Lowman, Jr.’s practice focuses on tax issues related to renewable energy, and federal tax controversy proceedings. Mr. Lowman’s practice focuses on federal income tax law, with an emphasis on energy tax credits, tax issues related to renewable energy, and federal tax audits and tax controversy proceedings.

Mr. Lowman represents developers and investors in various types of energy and renewable energy projects, including projects that qualify for tax credits for the production of electricity from wind, solar, geothermal, landfill gas, open-loop biomass, hydropower, municipal waste and other qualifying renewable resources.

Mr. Lowman also represents clients in matters involving refined coal, ethanol, alternative fuels produced from biomass, renewable diesel fuel, and biodiesel fuel. Mr. Lowman regularly works with clients to obtain guidance from the Internal Revenue Service and Treasury Department through private letter rulings, technical advice, and published guidance, such as IRS Notices and Announcements.


  • Obtained over 50 favorable private letter rulings from the Internal Revenue Service on various transactions, including transactions involving synthetic fuels produced from coal, coke batteries, landfill gas, contributions in aid of construction (CIAC), and issues involving electric generating facilities.
  • Substantial experience representing clients in transactions involving section 45 tax credits for the production of electricity from renewable resources, including the purchase and sale of facilities for production of electricity from wind, open-loop biomass, landfill gas, geothermal and refined coal. Experience includes innovative structures involving combination of prepaid power purchase agreements and tax equity or Treasury grants.
  • Represents clients in qualifying for Section 1603 Treasury grants and other incentives available for renewable energy projects under the American Recovery and Reinvestment Act of 2009. Submitted comments to Treasury and IRS on behalf of the solar industry on application of the Treasury grant program to solar transactions, and comments to Treasury and IRS on behalf of clients on application of the program to incremental hydropower and landfill gas. Assisted clients in disputes with Treasury over qualification of projects for Treasury grants.
  • Represented clients in obtaining IRS Notice 2009-90 providing guidance on the Section 45 tax credit for production of refined coal and obtaining revisions to that guidance in IRS Notice 2010-54. This guidance required coordination of issues between Treasury and the EPA on power plant emissions required to earn the tax credit.
  • Represented client in obtaining IRS Notice 2007-37 providing guidance on the tax credit for production of renewable diesel fuel. This guidance required coordination of technical issues between Treasury, DOE and NREL regarding production of renewable diesel fuel from biomass.
  • Represented client in obtaining IRS Notice 2006-88 providing guidance on the section 45 tax credit for production of electricity from open-loop biomass.
  • Consulted by Treasury Department in connection with Revenue Procedure 2007-65 involving Section 45 tax credit safe harbor for wind energy transactions.
  • Played key role in obtaining Revenue Procedure 2001-30, Revenue Procedure 2001-34, and IRS Announcement 2003-70 involving the Section 29/45K credit for synthetic fuel produced from coal.
  • Represented coal companies in litigation that determined the coal excise tax imposed on exported coal was unconstitutional. This case resulted in IRS issuing Revenue Procedure 2000-28 providing refunds of the excise tax collected on exported coal.
  • Substantial experience representing taxpayers before the Appeals Office of the Internal Revenue Service, including proceedings involving fast-track and alternative settlement procedures.
  • Represented clients in state and federal legislative matters and Congressional investigations.
  • Represented major insurance company in all areas of structured settlement business, including product development, tax treatment and legislative matters.


  • ML&T, William & Mary Law School, 1981
  • JD, William & Mary Law School, 1980
  • AB, The College of William & Mary, with honors, 1977


  • Virginia
  • District of Columbia


  • Member, Taxation Committee, Virginia State Bar
  • Member, District of Columbia Bar
  • Member, Tax Section, American Bar Association
  • Chair, Tax Committee, Solar Energy Industries Association
  • Member, Tax Policy Committee, American Wind Energy Association


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What types of cases Attorney David Lowman & Hunton Andrews Kurth LLP can handle?
Hunton Andrews Kurth LLP can handle cases related to laws concerning Financial Services, Corporate, Tax, International Law, Energy Utilities & Environmental. We manually verify each attorney’s practice areas before approving their profiles and reviews on our website.
Where is Hunton Andrews Kurth LLP located?
Hunton Andrews Kurth LLP is located at 901-951 E Byrd St, Richmond, VA 23219, USA. You can reach out to Hunton Andrews Kurth LLP using their phone line N/A. You can also check their website huntonak.com or email them at [email protected]HuntonAK.com.
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Hunton Andrews Kurth LLP
901-951 E Byrd St, Richmond, VA 23219, USA
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