One of the little-known provisions of the Tax Cuts and Jobs Act signed into law on Dec. 22, 2017 is the introduction of Opportunity Zones. These zones are census tracts in economically distressed communities where new investments may be eligible for preferential tax treatment. The IRS recently certified Opportunity Zones for investment in all 50 states, in every major metropolitan area, to spur this economic activity, through the creation of Qualified Opportunity Funds (QOFs). QOFs are partnerships or corporations formed specifically to invest in Opportunity Zones.
There are numerous benefits to investing in an Opportunity Zone:
The “prior gains” invested in QOFs can be any gains. For example, gains on stock sales within 180 days of the gain on that sale would qualify; investing that money in the QOF would allow for deferral.
Guidance Needed to Clarify Grey Areas Prior to Investment
Now that Opportunity Zones have been finalized and approved, the next step is for the Treasury Department to issue regulations. The most optimistic timing for issuance of guidance is likely toward the end of 2018. There are a number of technical matters that ideally should be resolved before one pursues a QOF structure. For example, if a QOF pursues a ground-up development, it is not clear whether the land cost would be a qualifying asset for purposes of the 90 Percent Test. (Under the 90 Percent Test, a QOF must hold at least 90 percent of its assets in a QOF property.)
A number of other unanswered questions present uncertainty for prospective QOF investors:
If the Treasury Department delays issuing definitive guidance, many investors may be reluctant to proceed with a QOF investment, not knowing if their investment will actually qualify. Clarity could come before year-end, but there is no assurance of this. Investors should consult with a qualified tax advisor and continue to watch for additional guidance on QOFs.
The U.S. Department of Treasury website includes an Opportunity Zone page that includes a listing of the various Opportunity Zones, as well as related FAQs.
The information in this blog is intended to provide a sense of the current environment and identify some of the key issues for consideration before proceeding with a QOF structure. If you have questions about Opportunity Zones, Qualified Opportunity Funds or other tax planning and preparation issues, please contact Josh Stein, CPA, at 330-668-1100 or email Josh.
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