Opportunity Zones US Federal Tax Rules

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Presentation transcript:

Opportunity Zones US Federal Tax Rules The Puerto Rico Chamber of Commerce and the Puerto Rico Builders Association present Opportunity Zones What are they, how do they work and what are the opportunities? US Federal Tax Rules CPA María de los A. Rivera #tucamaraenaccion

DISCLAIMER: This presentation and its content do not constitute advice DISCLAIMER: This presentation and its content do not constitute advice. Attendants should not act solely on the basis of the material contained in this publication. It is intended for information purposes only and should not be regarded as specific advice. In addition, advice from proper consultant should be obtained prior to taking action on any issue dealt with in this presentation.

What is an Opportunity Zone? an economically-distressed community where new investment, under certain conditions, may be eligible for preferential tax treatment a locality qualify as Opportunity Zones if it has been certified as such by the Secretary of the US Treasury via his delegation authority to the Internal Revenue Service Qualified Opportunity Zone designation remains in effect for 10 years

What are the incentives*? Temporary Deferral Step-up In Basis Permanent Exclusion A temporary deferral of inclusion in taxable income for capital gains reinvested into an Opportunity Fund. The deferred gain must be recognized the earlier of the date on which the opportunity investment is disposed of or December 31, 2026. A step-up in basis for capital gains reinvested in an Opportunity Fund. The basis is increased by 10% if the investment is held for at least 5 years and by 15% if held for at least 7 years, thereby excluding up to 15% of the original gain from taxation. A permanent exclusion from taxable income of capital gains from the sale or exchange of an investment in an Opportunity Zone if held for at least 10 years. This exclusion applies only to the gains accrued after the investment in an Opportunity Zone. *Enacted as part of the 2017 Tax Cuts and Jobs Act

Basic principles Eligible taxpayers: individuals, C corporations, partnerships, S corporations, trusts and estates Timely investment: within 180 days of gain realization. Exception for working capital account Original gain invested deferral and step up: 5 yrs: 10% 7 yrs: 15% Eligible gain: capital gains from unrelated parties transactions Investment in a QOF: “domestic” corporation or partnership that invests in QOZ property: 90% and 70% tests Gain on investment on the QOF: 10 yrs: 100%

How does it works? Investment in QOF 2025 – 7 year step up Type of gains 2023 – 5 year step up 2028 – 10 year full exclusion of QOF gain 180 days rule By 2019 to receive max deferral Gain realized in 2018 2026 – recognition of deferred gain (statutory due date)

Working capital safe harbor the QOF may place funds in a working capital account for as long as 31 months if: there is a written plan identifying purpose of the account for the acquisition, construction or improvement of QOZ tangible property, there is a written schedule consistent with ordinary start- up of business operations that shows funds will be used within 31-month period, and QOF substantially complies with the schedule

Working capital safe harbor (cont.) working capital account means cash, cash equivalents and debt instruments with 18 month or shorter maturity income generated by the working capital account will be treated as qualifying active trade or business income

Original use and substantial improvement QOF rules require that either (i) the original use of the QOZ property begins with the QOF or (ii) the QOF substantially improves property within 30 months by making capital improvements that exceed the cost of the property regulations reserve definition of original use – it is unclear whether QOF can purchase newly constructed building that is not yet in service; what if property was abandoned? substantial improvement rules are taxpayer friendly substantial improvement is measured by cost of building, not including land

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