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Qualified Opportunity Zone Task Force

Qualified Opportunity Zone Task Force

 

Overview

Investors, developers, and individuals or businesses looking to defer gain on significant sales proceeds are realizing the substantial benefits of investing capital gain proceeds received after December 22, 2017, in low-income communities designated as qualified opportunity zones. After enactment of this economic tax incentive in the Tax Cuts and Jobs Act, and with the U.S. Department of the Treasury finally providing critical guidance in October 2018, the formation and use of qualified opportunity funds is a reality — an investment that carries typical legal and economic risks and rewards of real estate investing, along with potentially powerful social and tax benefits.

There are nearly 8,800 designated qualified opportunity zones. A list of qualified opportunity zones can be found in IRS Notice 2018-48 and a detailed spreadsheet, map, as well as additional resources, can be found at https://www.cdfifund.gov/pages/opportunity-zones.aspx.

The qualified opportunity zone tax incentives come in three forms: 

  • Deferral of tax on capital gains that are rolled over into qualified opportunity zone property;
  • Potential partial exclusion from taxation of capital gains that are rolled over into qualified opportunity zone property; and
  • Potential exclusion from taxation of all future capital gains relating to the qualified opportunity zone property investment.  

Carlton Fields’ Opportunity Zone Task Force comprises tax attorneys, business attorneys, and real estate attorneys who have extensive experience with real estate investment structuring, impact investing, and the 2017 Tax Act. Our multidisciplinary team can assist in every step of the qualified opportunity zone analysis and structuring, including:

  • Structuring the sale of the relinquished capital assets.
  • Assisting with identifying designated qualified opportunity zones.
  • Certifying the qualified opportunity fund.
  • Negotiating and drafting the partnership or LLC agreement for the qualified opportunity fund.
  • Negotiating and drafting every aspect of the qualified opportunity zone real estate acquisition.
  • Negotiating and drafting applicable financing documents.
  • Addressing federal and state securities law issues relating to investment in the qualified opportunity fund.
  • Ensuring the requirements of IRC Section 1400Z-2 relating to qualified opportunity fund, qualified opportunity zone property, qualified opportunity zone stock, qualified opportunity zone partnership interest, qualified opportunity zone business property, and qualified opportunity zone business are met.
  • Counseling regarding impact investing.
  • Counseling regarding exit strategies and required holding periods to maximize the qualified opportunity zone tax benefits.

Our Team

Key Contacts

Jin Liu
Shareholder
Cristin Conley Keane
Shareholder

Additional Members

Frank A. Appicelli
Shareholder
Hartford
Jordan D. August
Shareholder
Tampa
David P. Burke
Shareholder
Tampa
Aaron C. Dunlap
Shareholder
Tallahassee
Brian A. Hart
Shareholder
Miami
Jay Koenigsberg
Shareholder
Miami
Robert B. Macaulay
Shareholder
Miami
Andrew J. Markus
Of Counsel
Miami
Carlos A. Mas
Shareholder
Miami
Ilan A. Nieuchowicz
Shareholder
West Palm Beach
W. Gregory Null
Shareholder
Atlanta
Dennis J. Olle
Shareholder
Miami
Rahul P. Ranadive
Shareholder
Miami
Michael R. Tippett
Shareholder
Atlanta
Joseph J. Verdone
Senior Government Consultant
West Palm Beach
James Walker IV
Shareholder
Atlanta

Resources

Helpful Links