Opportunity Zone Tax Incentives: Significant Guidance from the IRS
Recent guidance clarifies certain elements of new legislation.
Not long ago the IRS announced important guidance with regard to the implementation of the 2017 Tax Act provisions associated with opportunity zones and the possibility for both capital gain deferral and capital gain exclusion for investments related to these zones. This white paper reviews qualified opportunity zone designation and what benefits there are from a tax perspective.
John Eagan is a partner in the Business Department. He focuses his practice on taxation matters, with particular emphasis on planning for US and international business clients. John provides business tax counseling and planning on a variety of issues, including business entity transactional work (mergers, acquisitions, structures and reorganizations), business and tax structures for foreign investment in the US (business formation and investment structures, FIRPTA, transfer pricing, branch profits, repatriation and treaty issues), outbound structuring (including controlled foreign corporation issues), and S corporation, partnership, and limited liability company taxation.
John’s focus is on strong client communication with the goal of creating clarity from the complexity of business transactions. His matters are handled in a practical and cost-effective manner consistent with the client’s business needs and objectives.
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