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We help industrial operators, COOs, CFOs, and sustainability leaders evaluate their real capture options, protect their capital, and structure for 45Q credits and product revenue—without locking them into a multi-year build they may not need. When capture is the right move, Carbon to Crystals is the implementation we use.
1-Week Engagement
A 1-page IRS Subpart RR eligibility assessment and current-state review for your existing or planned gas facilities.
10-Day Engagement
A 10-page technical and financial roadmap detailing how our Carbon to Crystals modular process applies to your specific flue gas.
90-Day Minimum
Unrestricted access to our technical leadership for pilot strategy, vendor due diligence, and 45Q compliance planning.
Get an engineering-grade feasibility assessment and 45Q tax credit roadmap for your facility today.
Book a Strategy CallTonnage Edition: Calculate the value of your mineral waste stream.
+ $180 profit per ton of residue
*Estimates based on 10% replacement rate. Actual results may vary.
For a standard 25 MW facility, our advisory analysis typically reveals the following dual-revenue potential. Your specific numbers will vary based on your emissions profile.
Conservative floor: 50% utilization, $50/ton credit → $73M 10-year. Upside to $391M at full utilization. Optimistic: $953M at premium PCC pricing.
Our modular Carbon to Crystals units attach directly to your existing gas or industrial flue stacks. Inside, our mineralization process captures CO₂ and transforms it into high-purity, sellable Calcium Carbonate.
The 45Q credit provides a stable floor. CaCO₃ product sales provide the upside. Together, they deliver 9.4× to 20× the return of any single-revenue capture pathway.
$85/ton for every ton of CO₂ permanently mineralized. Post-OBBBA 2025, mineralization receives full credit parity with geological storage at the enhanced $85/ton rate. Verified through IRS Form 8933.
98% purity, 96.4% brightness, d50 = 4µm particle size — premium precipitated calcium carbonate (PCC) for paper, paints, plastics, pharma, and cosmetics. 85%+ of total revenue comes from product sales.
You provide flue gas access, site space, and utilities. We install, operate, and commercialize everything. You keep the credits. We split the mineral revenue.
45Q credits legally flow to the facility owner. You file the paperwork, you keep the $33.5M in federal credits over 10 years.
At commercial scale (100 TPD), payback is under 1 year based on combined 45Q credits and CaCO₃ product revenue.
The skid becomes a depreciable asset on your books. You get the tax shield, we share the mineral revenue. Everyone wins.
Carbon to Crystals process validated by independent third-party laboratory (98% CaCO₃ purity, 96.4% brightness). Independent engineering firm confirmed 24+ hour autonomous mineralization operation. Pilot data reviewed by NRG COSIA Carbon XPRIZE judging panel.
We don't just analyze the market. We predict where it's going.
The 45Q credit will expand beyond CaCO₃ mineralization to include additional mineralization pathways. Facilities filing Form 8933 by 2026 will set the regulatory precedent.
By 2027, at least 50 GW of data center capacity will require carbon capture to meet ESG mandates from hyperscalers, REITs, and venture capital investors.
Data centers that fail to start construction before January 1, 2023, will lose $1.5T+ in cumulative revenue ($33.5B 45Q + $689B CaCO₃ byproduct) across the 97 GW buildout. Modular deployment is the only pathway with sufficient timeline flexibility.
Skip the $7M–$15M upfront CCS vendor pitches. Get an objective evaluation of your emissions profile, 45Q eligibility, and whether Carbon to Crystals is the right path for your facility.