News: Financial Digest

Opportunity Zones – Are they a good 1031 Exchange investment? - by James Miller and Patricia Flowers

James Miller
IPX1031

 

Patricia Flowers
IPX1031

 

The opportunity zones that were created by the Tax Cuts and Jobs Act have generated a fair amount of buzz in the legal, accounting and real estate communities and have raised questions on application to an IRC Section 1031 Tax Deferred Exchange.  

An opportunity zone (OZ) is an economically distressed census tract. OZs are designed to provide tax incentives to investors with the stated purpose of getting the private sector involved to spur economic development and job creation in distressed communities. These areas are in need of assistance. Over half the communities eligible for designation as OZ had fewer jobs and fewer businesses in 2015 than in 2000.

Unfortunately an investment in an OZ fund cannot be structured as a 1031 Exchange. An investor can neither identify an OZ fund as a replacement property in a 1031 Exchange, nor participate in a 1031 Exchange when an OZ fund is sold. Since OZ funds are not real estate – they are qualified funds structured as corporations or partnerships – they are not eligible to be replacement property or relinquished property in a 1031 Exchange. 

Another issue to keep in mind is that not all capital gain will be tax free in an OZ fund investment. The tax free treatment for owning an OZ investment only applies to the gain in the opportunity zone investment, not the gain from the initial capital asset that was sold and used to invest in the OZ fund. An example of what happens to an OZ fund investment will be illustrated in our upcoming September 2018 blog: https://www.ipx1031.com/insight-blog/.

As with any investment, there are risks. Accordingly, it is essential that a potential investor seek the assistance of competent legal, tax and financial advisors to help them evaluate whether an OZ fund is a good investment for them. 

Due diligence questions that might be asked of a sponsor of an OZ fund may include: 

• Are they new or experienced in real estate investments and developments? 

• Have they operated during an economic downturn? 

• How secure are they? 

• What protections are made for the investment?

With regard to the specific OZ fund, questions might include: 

• What properties are in the fund; 

• Are they currently performing and is that expected to continue? 

In other words, how is the fund expected to perform in an economic downturn and why? The last question is particularly relevant because OZs are located in economically distressed census tracts. Those areas are frequently hit the hardest in an economic downturn.

After due diligence, many sellers of real estate may decide that OZ funds are not appropriate for their portfolio since they only permit tax deferral until 12/31/2026 (at the latest) and represent a “dead end” for the deferral of taxes. It is essential to have these potential investments reviewed from a legal, tax and financial perspective to determine what strategic investment is best for your circumstances.

The Treasury Department and the Internal Revenue Service will be providing further details on these funds. For additional information, the IRS has posted: Opportunity Zones Frequently Asked Questions:

https://www.irs.gov/newsroom/opportunity-zones-frequently-asked-questions 

Written by James Miller, senior vice president, associate general counsel, Investment Property Exchange Services, Inc. Submitted by Patricia Flowers, vice president, Investment Property Exchange Services, Inc. (IPX1031) and a Certified Exchange Specialist, Boston, Mass.

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