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Infrastructure Recapitalization

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A Role for Private Capital?

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This entry was posted in Uncategorized on April 7, 2020 by inrecap.

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Recent Posts

  • AWWA SOTWI 2025 Survey: Context for Federally Subsidized Finance
  • States Should Fund Their Own Water Infrastructure – Um, Except When Muni Bonds Are Used?
  • WH 2026 Budget WIFIA Cut — Update Re Carryover Funding
  • WH 2026 Budget for CWIFP, TIFIA
  • WIFIA Cut in the WH 2026 Budget Technical Supplement?
  • The Neo-Narrative Could, In Fact, Fail
  • The Neo-Narrative Wars
  • [Your Name] Asks: “Abundance” for Whom?
  • “As soon as the federal loan money goes cha-ching…
  • WSJ: ‘Save Us From the CBO’
  • The Old Narrative is Dying, and the Neo-Narrative Is Quietly Being Formed
  • WIFIA FCRA Criteria: Call OMB and Quietly Work It Out?
  • New Bipartisan FCRA Bills — But CBO Sees Old Language?
  • Public Infrastructure and Ideological Power
  • From an Unstable Mix of Forces, a Possible Path
  • ChatGPT Cheerfully Trashes the Muni Bond Market
  • Taking Sides
  • New Article in WFM: A Process of Questioning; 5/11 Addendum
  • Email to DOGE Caucus (US House) 5/8/2025
  • ChatGPT Opines on WIFIA Policy
  • Responses to Criticism of CWIFP in 2026 Budget Request: One-Pager
  • CIFIA On the Chopping Block [Maybe? 5/31/25 Update]
  • ChatGPT Outline of Post-Loper Bright Challenge to WIFIA FCRA Criteria
  • 2026 Budget Request: Policy Hints Amidst the Chaos
  • FCRA Criteria: Poster Child of Bureaucratic Overreach
  • Federal Earthquake
  • The Economic Cost of WIFIA’s Portfolio at FYE 2023
  • FCRA Issue: Sense of the House Non-Binding Resolution Draft Language
  • Quick Note Re FCRA and WRDA T&I Hearing 12/5/23
  • Five CWIFP Economic Amendments: One-Pager
  • Putting the FCRA Non-Federal Issue in Perspective
  • A Possible Sequence for WIFIA FCRA Fix
  • FCRA Eligibility Issue One-Pager
  • Statement for Upcoming EFAB Public Meeting
  • WIFIA Statutory Rate Reset
  • 55-Year Term Amendment Language for Dam Safety Projects
  • Email to OMB on ‘Or Assets’ Omission
  • FCRA Plan C: Directive to Update the Criteria
  • CWIFP’s Initial Market Might Be Tough
  • The Current Criteria’s Smoking Gun?
  • The Background Section of OMB’s WIFIA Criteria, Line-by-Line
  • WIFIA FCRA Criteria: Narratives and New Criteria
  • FCRA Non-Federal: Truth, Narratives, and the New Criteria
  • FCRA Non-Federal: CBO’s 2021 Scoring for S.914 and the Core of the Issue
  • FCRA Non-Federal: Revisiting CBO’s 2020 Scoring for S.3591
  • Update on Extended WIFIA Term — Different Story, Different World
  • Crooks, Imbeciles and Non-Federal Repayment Sources
  • Paying for a Non-Federal Share in Pictures
  • FCRA Non-Federal Issue: A New Approach
  • CWIFP Financing for Levees: Potential Borrowers
  • CWIFP Dam Finance No. 1: Potential Borrowers
  • Fiscal Constraints and WIFIA Leverage for SRFs
  • Small Dam Financing Co-Op
  • Dam Finance Recommendations for CWIFP Series
  • Federal Interest Cost is a Problem. But Infrastructure Loan Programs Shouldn’t Add Much to It.
  • FCRA Non-Federal Addendum: Section 3908 (b)(8)
  • Dam Finance Roundtable
  • What Is WIFIA’s FCRA Budgeting Issue?
  • Letter to GAO on WIFIA FCRA Criteria
  • OMB’s FCRA Criteria Didn’t Comply with the Directive
  • Non-Federal Interest Illustration
  • Quick Numbers: Rising Rates and Dam Finance Enhancements
  • Per Criteria Obscura, Convicta et Combusta
  • Enhancements to SCVWD’s WIFIA Loans for Dam Projects
  • Five CWIFP Enhancements for Dam Finance
  • Small Dam Fund Study Directive Language
  • Federal Facility vs. Federal Project, Non-Federal Interests
  • CWIFP Loans to Small Dam Funds
  • Three Ideas for Federal Financing of Dam Removal
  • CBO/JCT Cost Estimates for HR 8127
  • Infrastructure Pension Obligation Loan Program
  • FCRA Non-Federal No. 8: Conclusions
  • FCRA Non-Federal No. 7: Tax Code Precedent
  • FCRA Non-Federal No. 6: HR 8127
  • Six FCRA Criteria for Federally Involved Projects
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