On behalf of the American Chemistry Council and its members, I urge the Administration to release the long-awaited draft guidance on eligibility criteria for the Section 45V Clean Hydrogen Production Tax Credit, consistent with the text and intent of Congress and practical realities of early hydrogen production and infrastructure deployment. As critical producers, users, and enablers in this new economy, our members see the 45V tax credit as one of the most important elements of the IRA/BIL lower emissions economy framework.