1 / 10

US Bancorp Community Development Corporation

US Bancorp Community Development Corporation. Historic and New Markets Tax Credits for the Armory: Investor Reflections (or lack thereof) Robert Wasserman Western, Southern and GO Zone Region Manager New Markets Tax Credit and Historic Tax Credit Investments (213) 615-6647

Download Presentation

US Bancorp Community Development Corporation

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. US Bancorp Community Development Corporation Historic and New Markets Tax Credits for the Armory: Investor Reflections (or lack thereof) Robert Wasserman Western, Southern and GO Zone Region Manager New Markets Tax Credit and Historic Tax Credit Investments (213) 615-6647 robert.wasserman@usbank.com

  2. USB CDC • Created in mid 1990s • Subsidiary of US Bancorp • Primarily equity investors whose return is a stream of tax credits. Yields are computed in after-tax returns. • Headquartered in St. Louis with offices in Los Angeles, KC and Denver • Two divisions • LIHTC (Low-Income Housing Tax Credits) • New Markets Tax Credits (NMTC) and Historic Tax Credits (HTC) • Mission-oriented – All credit memos include a community impact section • VOLUME: • Received $135mm in NMTC allocation in June 2006. All earmarked for or deployed in projects • Over 140 NMTC transactions; Average investment is $6-20 million • National investor outside of footprint • Ability to do leveraged and non-leveraged transactions • Over $2 billion in total development costs; Deal size: $5-60mm • HTC: Active, national investor with over 30 investments in the past 2 years. • LIHTC: Footprint investor. Both a fund investor and direct investor Approximately $400 million in equity invested per annum.

  3. Office Retail Mixed-use with Housing 20%/80% Requirement Entertainment/Theater Hotel Community Facilities Historic-NMTC Real Estate Transaction Investments

  4. Why would US Bank invest in the Armory? • Mission Oriented • Community Involvement and Commitment to Arts and Culture • Invested in three historic theaters • Portland Armory • Atlas Theater, Washington DC • Fox Theater, Spokane, Washington • Currently evaluating two more historic theaters • Broaden our involvement in the markets we serve • Ability to serve our core banking business • Profit • All investors have return requirements and this was no different than any other deal • However, our goal is to invest in projects that sink the subsidy into the project • View our return in the form of tax credits, tax losses, cash return (priority return) and put • Here we isolated each one of the benefits and analyzed the risk and the determined an amount of equity

  5. NMTC requirements imposed on the Armory and the CDE • Recapture • Redemption Test • CDE cannot distribute investment capital to the Investment Fund or the Investor • We pre-funded QEIs and if there was a construction bust, our money would have to be deployed into another project • Receive reports from the CDE and annual testing by the accountants • Substantially-all Test • Up to 85% of the investment must deployed at all times after the first 12 months of the investment (and not including any re-investment situations) • We pre-funded QEIs so we were needed to ensure that the money would be deployed within 12 months • Risk: Construction bust or delay • Solution: Find another project or sink the money into the project prematurely so long as the leveraged debt is in place • Receive reports from the CDE and annual testing by the accountants • CDE Status • CDE is ultimately responsible for its status

  6. Primary concerns for the Armory • Structure and Risk • Armory required flexibility • Armory 1 – HTC investment passed through the structure • HTC bridged by USBCDC • Armory 2 – HTC Investment was outside of the structure • Uncertain costs • Mitigated by experienced developer, GC, guarantees • Uncertain operations • Mitigated by the team, reserves, guarantees • Uncertain exit • Don’t account for the exit in our underwriting

  7. Financial Analysis of the Armory • NMTC Investment • Minimal underwriting as the leveraged fund was guaranteed • Hold out for 7 years in order to protect NMTC investment • HTC Investment • Significant economic risk • Underwriting • NOI analysis • Evaluate theater market on high level • Is there a captive sub-tenant? Theater, symphony, ballet, etc • Protected leap of faith • Staged pay-in • Sizing of the debt • Pledges, capital contributions, fundraising to buy down the debt over its term • Guarantees • Inability to underwrite brought about need for a strong guarantor • Reserves established • Tax opinion concerns

  8. $3mm Equity = 30% of QEI 39% of $10mm * $.77/credit $7mm Loan= 70% of QEI @ Market interest rate $10mm QEI 8% CDE Fee: $800,000 (varies) Transaction Costs: $200,000 (varies) Legal and Accounting QLICI Loan B / QLICI Equity: $2mm low interest rate loan or invested as equity (some loans are forgivable) QLICI Loan A: $7mm @ Market interest DEVELOPER: Manager How the NMTC Works: Funding the Project LEVERAGE LENDER (USB CL): Provides loan NMTC INVESTOR (USBCDC): Provides equity for TCs INVESTMENT FUND: To fund $10mm QEI CDFI FUND (Dept of Treasury) SUB-CDE: $10mm Allocation (need to fund QEI) CDE ALLOCATEE: Receives NMTC Allocation Sub-allocates QALICB: Project Entity * Not all structures are the same

  9. $3.9mm Tax Credits: Received over 7yrs plus 5% exit fee of equity Leverage Loan/ Loan A Interest Leverage Loan/ Loan A “Interest” Loan B Interest: Pays annual management fees and CDE/IF costs Leverage Loan/ Loan A Principal Sinking Fund (USB Account) P+I - QLICI Loan A: Matches leverage loan debt service I/O - QLICI LOAN B / Equity: *Low interest rate loan or *Equity treated similarly with possible small annual return How the NMTC Works: Servicing the Loan(s) LEVERAGE LENDER NMTC INVESTOR: Receives tax credits INVESTMENT FUND SUB-CDE CDE ALLOCATEE QALICB: Project Entity * Not all structures are the same

  10. TC Investor Put = ~5% of TC equity paid 100% of leverage loan principal balance Sinking fund plus LOAN A principal Remaining LOAN B principal or reserves LOAN B principal - CDE exit fee Balance of sinking fund Principal - QLICI Loan B / Equity: * Either equity remains in the project or Loan B is 1) forgiven or 2) repaid Principal - QLICI Loan A: (Less sinking fund balance) How the NMTC Works: Exit at end of 7 year compliance period LEVERAGE LENDER NMTC INVESTOR INVESTMENT FUND SUB-CDE CDE ALLOCATEE Sinking Fund (USB Account) QALICB: Project Entity * Not all structures are the same

More Related