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What are my options when it comes to deferring capital gains invested in a Qualified Opportunity Fund?

I obviously want to benefit from the 10 year step up in basis. But if I would rather pay CG tax now than at a possibly much higher rate in 5 years, am I able to? Am I able to defer tax now but then change my mind before 2027 and pay in any earlier year? I realize that in either case, I would not get the 10% reduction.


Answers
  • Marko Belej
    November 29, 2021

    The opportunity zone (OZ) rules generally require you to defer gain up-front, and not have inclusion event for 10 years, in order to receive the basis step-up in a qualified opportunity fund (QOF) after a 10-year hold. However, there are exceptions: certain inclusion events that result from distributions in excess of basis from QOF partnerships or QOF corporations do not disqualify the QOF interest as a qualifying investment. In this case, you may be able to invest your deferred gains in a QOF partnership or QOF corporation and then take out a distribution that triggers an inclusion event (but does not upset the basis step-up after 10 years). The tricky part is that some period of time may need to elapse to avoid the disguised sale rules (in the case of a QOF partnership) and economic substance doctrine (relating to circular cash flows). So this strategy may work if you want to trigger the gain after two years, but not if you want to recognize it in 2021.

  • Matthew Rappaport
    November 29, 2021

    The problem is that if you have an inclusion event, the corresponding equity is not eligible for the 10-year benefit, so you can't electively trigger capital gains tax prior to the 2026 expiration of the deferral period. In other words, deferral is all-or-nothing in terms of rate risk.

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