EMPLOYMENT BASED FIFTH PREFERNCE (EB-5) By Ira J. Kurzban Mr. Kurzban has been involved in litigating EB-5 cases since 1998 and was counsel of record in.

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EMPLOYMENT BASED FIFTH PREFERNCE (EB-5) By Ira J. Kurzban Mr. Kurzban has been involved in litigating EB-5 cases since 1998 and was counsel of record in Chang v. U.S. He is currently litigating I-829 denials for clients of several regional centers, as well as whether conditional residents may naturalize

BASIC REQUIREMENTS INVESTED OR ACTIVELY IN PROCESS OF INVESTING $1,000,000 $ 500,000 IF TEA Funds at riskE-2 standards Managementday to day or policy formulation-ULPA Capital Investment Project NEW COMMERCIAL ENTERPRISE Created after Nov. 29, If Before Nov. 29, 1990, then: (a) restructuring; or (b) expanding (40% net worth/# of employees) JOB CREATION 10 jobs created for each investor Troubled Business/20% of Net Worth10 jobs saved Regional Centers: 10 Direct and/or Indirect

BASIC PROCEDURE I-526 Petition Initial Petition to establish investor status I-485/IV If I-526 approved apply to be conditional resident I-829 Within 90 day period of second anniversary of CR status apply to lift the condition on residency Revocation During Two Year Period INA 216A(b)FDNS Now Active

BASIC LAW LAW GOVERNING I-526 INA 203(B)(5) 8 CFR Spencer Enterprises, Inc. v. U.S., 345 F.3d 643 (9 th Cir. 200 Precedent Decisions of: Matter of Izummi, 22 I&N Dec. 169 (1998) Matter of Ho, 22 I&N Dec. 206 (1998) Matter of Soffici, 22 I&N Dec. 158 (1998) Matter of Hsiung, 22 I&N Dec. 201 (1998) LAW GOVERNING I-829 INA 216A 8 CFR Chang v. U.S., 327 F.3d 911 (9 th Cir. 2003) Abghari v. Gonzales, 596 F.Supp.2d 1336 (C.D. Cal. 2009)

BASIC GUIDANCE Adjudicators Field Manual Chapter 22.4 Regarding I-526 Process Chapter 25.2 Regarding I-829 Process USCIS/Legacy INS MemosAILA InfoNet Pearson, Legacy INS EB-5 Field Memo No. 9 Form I-829 Processing (Mar. 3, 2000); Yates, USCIS Amendments Affecting Adjudication of Petitions for Alien Entrepreneur (June 10, 2003) Yates, USCIS Establishment of an Investor and Regional Center Unit (Jan. 19, 2005) Neufeld, USCIS, EB-5 EntrepreneursJob Creation and Full Time Positions (June 17, 2009) Neufeld, USCIS Adjudication of EB-5 Regional Center Proposals and Affiliated Form I-526 and Form I-829 (Dec. 11, 2009) Stakeholders Meetings Period Telephonic and In-Person Meetings

ISSUES RE INVESTMENT Source of Funds/Capital Obtained Through Lawful Means Tax Returns Filed Within 5 years; foreign business records or other evidenceForeign Accounting Firms 204.6(j)(3) Judgments Against the Client (e.g. fraud) Foreign Docs Must Be Translated 103.2(b)(3) Transfer of Funds Not the Same as Source Declaration of Client Transfer of Funds Directly From Owned Business Problematic Undistributed Retained Earnings Loans Secured By Assets Other Than Enterprise Gift-How Was Gift-funds obtained? Currency Restriction Laws10 families procedure

INVESTMENT AT RISK INVESTMENT DEFINED Not a Loan: Accountants Improper Characterization Promissory Note: Unsecured/FMV not Face Value At Risk: Funds Not at Risk If Redemption Agreements: Fixed Price Guaranteed Payments/Returns Loan with Investment as Security Sole Owner: Not Put Money in Account/How much activity is enough Investment In Job Creating Business Partnership Expenses, attorneys fee dont count

TEN JOB REQUIREMENT Full Time35 hours (sharing ); but indirect assumed full time Employee Not Independent Contractor 204.6(c) Regional Center IssueIndirect Employed ElsewhereMoved from One Job to Another Position Not Person Defines Job--AFM 22.4(c)(4)(D)(ii) Business Plan must show job creation within 2 ½ years of I-526 approval But I-829 is created or can be expected to create within a reasonable period216.6(c)(1)(iv) Regional Center: Direct and Indirect/Induced Indirect: Employees of industry spend elsewhere Induced: Goods and Services Purchased by money generated through direct and indirect employment RIMS II, IMPLAN Where Jobs Createdwithin regional center No Time for Job Creation204.6(j)(4)(iii)

PROVING JOB CREATION Who Employed USC,LPR, Other immigrant lawfully authorized to be employed including CR, TR, asylee, refugee, suspension 204.6(c) TPS? Type of Documents I-526: tax records, I-9s or similar documents; business plan; or if regional center different standard –proof of direct or indirect job creation through reasonable methodologies 204.6(j)(4)(iii) I-829: Payroll Records, Relevant Tax Documents and I-9s 216.6(a)(4)(iv). I-9 vs Unfair Immigration Employment Practices E-Verify Issue: Legal employee or position

OTHER ISSUES Material Change AFM 25.2(e)(4)(E) Change to Business Plan Change in capital investment structure, job creation methodologies or eligibility requirements of I-526 Post-I-526 Approval New Petition or Amended Petition Change in TEA Status No second look after I-526 approval? Not fatal if during CR period AFM 22.4(c)(4)(F) Jobs Must Be Created in TEA if relying on $500,000 investment Dependents ProceduralUnder 21 months at time of I-829 separate petition; but 216.6(a)(1) SubstantiveRemoval if death, divorced or over (a)(1), (5) CSPA Issuesunder 21 at time of filing I-526 (time I-526 pending deducted from age)

ADDITIONAL ISSUES Denial of I-829 Benefits Remain Motions to Reopen No AAO appeal unless certified Removal Proceedings– Burden of Proof On Gov. INA 216A(c)(3)(D); except late-filing 216.6(a)(5) Court Challenges Late Filed I-829 May Be Consideredgood cause and extenuating circumstances 216.6(a)(5) Meaning of Chang Cannot Readjudicate Issues Can Make Changes Naturalization INA 216A(e); CR treated as LPR for Natz/ rights, privileges, responsibilities and duties are the same

CONFLICTS AND OTHER ISSUES Securities, Money Laundering, OFAC, Conflicts Issues Broker-Dealer if Accept Fee ? Performing due diligence, negotiating terms of the offering, soliciting the investors, and handling investor fund –broker- dealer instead of finder Conflicts of Interest --Failure to disclose longstanding business relationshipSerova v. Teplen, (S.D.N.Y Feb 16, 2006) Investing With Dirty Money 18 USC 1956, 1957 (conscious avoidance/willful blindness test) False Statements 18 USC 1001 OFAC Iranian Banks