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INTRODUCTION TO OPPORTUNITY ZONES NARC CONFERENCE Washington, DC February 11, 2019

INTRODUCTION TO OPPORTUNITY ZONES NARC CONFERENCE Washington, DC February 11, 2019. What are Opportunity Zones?.

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INTRODUCTION TO OPPORTUNITY ZONES NARC CONFERENCE Washington, DC February 11, 2019

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  1. INTRODUCTION TO OPPORTUNITY ZONES NARC CONFERENCE Washington, DC February 11, 2019

  2. What are Opportunity Zones? The Opportunity Zone tax incentive is a bipartisan initiative to spur long-term private investment in low-income urban and rural communities, established by Congress in the 2017 Tax Cuts and Jobs Act. U.S. investors currently hold $2.3 trillion in unrealized capital gains, representing a significant untapped resource for economic development.

  3. OPPORTUNITY ZONES OPPORTUNITY Why now? More than half of America’s most economically distressed communities contained both fewer jobs and businesses in 2015 than they did in 2000. New business formation is near a record low. The average distressed community saw a 6 percent decline in local businesses during the prime years of the national economic recovery. The U.S. economy is increasingly dependent on a handful of places for growth. Five metro areas produced as many new businesses as the rest of the country combined from 2010 – 2014. Now is the time to diversify. Data from the Economic Innovation Group. Read more at eig.org/opportunityzones ZONES

  4. What are Opportunity Zones? • Up to 5% of census tracts contiguous to LICs • may be designated as OZs, if the median family income of the census tract does not exceed 125% of the median family income of the LIC to which the tract is contiguous. • States or territories in which there are fewer than 100 LICs may designate up to 25 LICs as OZs. Up to 25% of LICs in a U.S. state or territory may be designated as OZs. Opportunity Zone: A low-income census tract (< 80% of area median income OR a poverty rate of greater than 20%) that has been designated by the governor of the of the state or territory in which it is located and approved by the U.S. Treasury Department. Designations will stay in place for 10 years.

  5. Designated Opportunity Zones – National Stats 8,762census tracts designated 1.6 millionbusinesses in designated tracts​ 24 millioncurrent jobs in designated tracts​ All states and territories have officially designated their Opportunity Zones, as of June 14, 2018.

  6. Opportunity Funds Opportunity Funds will be self-certified per IRS guidelines. They must be organized for the purpose of investing in Opportunity Zones Opportunity Funds are required to invest 90% or more of their capital as EQUITY in Opportunity Zone property Investors receive a return on their investment through a seven-year stream of tax credits (totaling 39%). Opportunity Zone property includes stock, partnership interest, or business property in an Opportunity Zone Opportunity Fund: An investment vehicle organized as a corporation or partnership for the purpose of investing in Opportunity Zone property.

  7. OPPORTUNITY ZONES Investor Incentives Cancellation of taxes Reduction of taxes On new gains made through Qualified Opportunity Zone Fund investments held 10+ years Deferral of taxes On investments held in Qualified Opportunity Zone Funds 5+ years On capital gains invested in Qualified Opportunity Zone Funds

  8. Timeline for Opportunity Zone Investments Year 5 2024 Year 7 2026 Year 8 2026 Investment Year 2019 Year 10 2029 10% reduction of capital gains tax Gain realized and invested in Opportunity Fund within 180 days* 15% reduction of capital gains tax All taxes due on 12/31/26. Investor pays tax on 85% of original gain Tax on Capital Gain Invested * Tax is deferred until the earlier of investment liquidation (return of capital) or 12/31/26 Any gain realized on Opportunity Fund investment is fully taxable if liquidated Any gain realized on Opportunity Fund investment is tax free** Any gain realized on Opportunity Fund investment is fully taxable if liquidated Any gain realized on Opportunity Fund investment is fully taxable if liquidated Tax on Opportunity Fund Investment ** Any appreciation on Opportunity Fund investment is tax free if held > 10 years

  9. Ex. 10 Year Investment: Fully Taxable vs. Opportunity Zone Fund • Assumptions: • 10% annual investment appreciation • 24% capital gains tax (federal only)

  10. Economic Development Examples 1 Business infrastructure real estate funds: Industrial Retail Mixed use TOD 2 Venture capital funds: Seed stage investments Series A investments 3 Operating business private equity: Businesses moving or expanding into an Opportunity Zone Equipment financing 4 • Enhancement for other federal tax credit transactions: • NMTCs • Historic Tax Credits

  11. Affordable Housing Examples 1 2 3 Lease-to-own Housing Single family or multi-family New construction or rehab Investors = social impact focus Pairing with LIHTC or the HTC Yield boost for tax credit investments providing housing for families at or under 60% AMI 10-15 year investment period Investors = corporate investors with capital gains to invest and tax credit appetite Workforce Rental Housing Providing housing for families at 80 – 120% AMI 10 year investment period Investors = individuals or corporations

  12. Strengths Local Flexible New  Investor Class Potential Straightforward The incentive could attract hundreds of billions of private sector capital into low-income communities The tool is relatively straightforward from an investment and compliance standpoint, in comparison to LIHTC and NMTC Designations are made by states and localities, rather than Federal agencies, ensuring more local buy in and coordination The flexibility of the investment tool can support investments in any type of asset class The incentive has the ability to attract high net worth individual investors to community development finance

  13. Concerns Lack of Oversight Gentrification and Displacement Future of Other Tax Incentives Lack of  Impact Incentives Lack of oversight from government entities could lead to program abuses Incentives focus on back-end returns, rather than investments that will result in community impacts The tool might aid in the gentrification and displacement of residents and businesses in Opportunity Zone communities The new incentive might be used as an excuse to diminish or eliminate other community development tax incentives, such as the NMTC program

  14. OPPORTUNITY ZONES Key Regulatory Issues Addressed • IRS published proposed regulations in November of 2018 that can be relied upon by taxpayers seeking to make O-Zone investments. Of note, the regulations clarify that: • Investment funds must come from capital gains • 70% of the QOZB assets must be located in the O-Zone • 50% of the gross income must be from activities in the O-Zone • O-Funds have some flexibility to align compliance periods around receipt of funds • QOZBs have up to 31 months to fully deploy invested capital into qualified assets • Land costs are excluded from the requirement that an O-Fund must invest at least double the basis of a real estate project within 30 months.

  15. OPPORTUNITY ZONES Key Regulatory Issues Remaining • Critical regulatory clarifications or additional guidance is still needed on several issues, including: • Whether “active conduct of a trade or business” includes the rental of real property • The requirement that 50% of income must be derived from activities in the Opportunity Zone • Whether minimal level of investment will be required when all or a significant portion of the value of the QOZP is the land • What constitutes the “original use” of a property? • The extent to which O-Funds can redeploy returned investment capital within the 10 year period without triggering a tax event • O-Fund reporting requirements (both for compliance and for evaluation purposes)

  16. Contact Information • Matt Josephs • Senior VP • LISC Policy 202-739-9264 mjosephs@lisc.org • Matt Josephs • Senior VP • LISC Policy 312-697-6131 mjosephs@lisc.org lisc.org • Karen Przypyszny • Managing Director • Special Initiatives • NEF 312-697-6120 kprzypys@nefinc.org • Beth Marcus • Senior VP • Resource Development 212-455-9398 bmarcus@lisc.org lisc.org

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