ACQUISITION/REHABILITATION: THE 10% RELATED PERSON RULE James F. Duffy, Esquire Nixon Peabody LLP 100 Summer Street Boston, MA 02110-2131 (617) 345-1129.

Slides:



Advertisements
Similar presentations
Consolidated Financial Statements: Intercompany Transactions
Advertisements

ENERGY INVESTMENT TAX CREDITS James F. Duffy, Esquire Nixon Peabody LLP 100 Summer Street Boston, MA (617)
Special Issues for Projects Involving Nonprofits IPED Housing Tax Credits 101 March 5-6, 2009 Molly R. Bryson Thomas A. Giblin.
Special Issues for Projects Involving Nonprofits IPED Housing Tax Credits 101 February 22-23, 2007 Molly R. Bryson Thomas A. Giblin.
Combining Historic and Affordable Housing Credits
Carryover Allocations and 10% Test
SOLAR TAX CREDITS James F. Duffy, Esquire Nixon Peabody LLP 100 Summer Street Boston, MA (617) LEARNING THE.
Special Issues for Projects Involving Nonprofits IPED Housing Tax Credits 101 October 18-19, 2007 Molly R. Bryson Thomas A. Giblin.
PRODUCTION TAX CREDIT BASICS
The Basics of Solar Tax Credits Forrest Milder Herb Stevens © 2008.
IPED Tax Credit Property Disposition 2008: Obligations and Opportunities Through Year 15 and Beyond Boston, Massachusetts, November 20-21, 2008 Forrest.
SOLAR ENERGY TAX CREDIT BASICS
DEFERRED DEVELOPMENT FEES
DEFERRED DEVELOPMENT FEES
How Credits Become Capital: When and How to Syndicate Incentives for Historic Preservation in Detroit Thursday, June 5, 2008 The Detroit Athletic Club.
Condo Conversions Under PLR The PLR Was Published On January 19, 2007 Each tenant, granted a right of first refusal, can buy that unit, along.
1 CRITICAL TAX ISSUES IN TODAYS HOUSING TAX CREDIT TRANSACTIONS: DEFERRED DEVELOPMENT FEES San Francisco, California July 24-25, 2008 Molly R. Bryson.
DISPOSITIONS OF LIHTC PROPERTIES (OR LP INTERESTS THEREIN) WITHOUT RECAPTURE BONDS Allen A. Lynch, II Partner Nixon Peabody LLP 100 Summer Street.
USING THE PRODUCTION TAX CREDIT James F. Duffy, Esquire Nixon Peabody LLP 100 Summer Street Boston, MA (617) (866) (fax)
Market For Property Disposition at Year 15 and Earlier November 20, 2007 Robert L. Sheppard Senior Vice President of Investments Tax Credit Group of Marcus.
Historic Tax Credit Equity Syndication Basics Historic Tax Credit Developers Conference Thursday, February 5, 2009 Miami Beach, Florida.
Turning Your Tax Credits into Cash Iped Tax Credits 101, October 16, 2008 Presenter: Gayle Manganello Ellis, PNC MultiFamily Capital.
IPED 101 – TAX CREDIT BASICS CAPITAL ACCOUNTS 704(b) & MINIMUM GAIN.
James F. Duffy Right of First Refusal Under IRC Section 42(i)(7) Institute for Professional and Executive Development,
ACQUISITION/REHABILITATION: THE 10% ANTI-CHURNING RULE Gary A. Band, Esquire Nixon Peabody LLP 401 9th Street, N.W. Washington, D.C (202)
ACQUISITION/REHABILITATION: THE 10% ANTI-CHURNING RULE
Special Issues for Projects Involving Nonprofits IPED Housing Tax Credits 101 June 7-8, 2007 Molly R. Bryson Thomas A. Giblin.

James F. Duffy, Esquire Nixon Peabody LLP 100 Summer Street Boston, MA
ACQUISITION/REHABILITATION: THE 50% ANTI-CHURNING RULE
CLEAN RENEWABLE ENERGY BONDS (CREBs) James F. Duffy, Esquire Nixon Peabody LLP 100 Summer Street Boston, MA Tel.: (617) Fax: (866)
Sophisticated Tax Issues By Forrest David Milder Nixon Peabody LLP
General Partner Interest Sales Legal Issues Robert H. Adkins.
Market For Property Disposition at Year 15 and Earlier The Institute for Professional And Executive Development October 11,2007 Robert L. Sheppard Senior.
IPED HOUSING TAX CREDITS “101” COMBINING SOLAR AND HOUSING TAX CREDITS
IPED HOUSING TAX CREDITS 101 Phoenix, Arizona February 22-23, 2007 Molly R. Bryson Thomas A. Giblin.
2008 Real Estate Update: Affordable Housing in Todays Market Ritz Carlton, San Juan Hotel, Spa & Casino 6961 Avenue of the Governors Isla Verde Carolina,
Using Like-kind Exchanges with Older Housing Projects By Forrest David Milder Nixon Peabody LLP
Syndication Leasing Structures How Tax Credits Become Capital: When and How to Syndicate Panel USING HISTORIC TAX CREDITS IN NEW YORK June 24, 2009.
Proposed Treasury Regulation § Qualified Contracts Presented by Michael J. Novogradac, CPA
KEY ISSUES IN DOCUMENTING THE Y10-15 FEE SALE The Sellers Perspective Allen Lynch Nixon Peabody LLP 100 Summer Street Boston, MA
Who Gets What When the Partnership is Liquidated Virginia Housing Credit Conference September 4-5, 2013 Presented By: Terence Kimm
Every Battle is Won Before it is Fought. Planning for Year 15 Presenter: Dan Mendelson, President, DTM and Assoc. Inc. 1.
How You Can Sell Your Home in Just 14 Days & for $20,000 More Than Today’s Market Value.
Housing MortgageVocab Advantages True or False.
How to read a FINANCIAL REPORT
Corporate & Partner Tax Instructor: Dwight Drake ```````````````````````````````````````````` ```````````````````````````````````````` Payments for Services.
Finding and Selecting a Home.  What Are the Steps for Buying a Home? 1.Determine if you should rent or buy 2.Determine how much you can afford to spend.
Year 15: Nonprofit Transfer Strategies for Expiring LIHTC Properties Supportive Housing Network of New York May 5, 2009 Presenters: Gregory Griffin, Director,
Untangling Property Dispositions: The Partnership Tangle NCSHA June 2015 Los Angeles CA.
The Low Income Housing Tax Credit Program
Chapter 4 Group 3 Finding – “The three most important things about a single-family house are location, location, location.” Don’t make a firm offer on.
Objective 2.03 Analyze financial and legal aspects of home ownership.
Real Estate Principles and Practices Chapter 16 Investment and Tax Aspects of Ownership © 2014 OnCourse Learning.
Tax Issues on Disposition of a Project IPED Boston, October 2007 Forrest David Milder
SERC 2014 Judy Vandyke, CEO/Managing Partner, BGC Holly Knight, Vice President of Development, BGC
©2011 Cengage Learning. Chapter 17 ©2011 Cengage Learning INCOME TAX ASPECTS OF INVESTMENT REAL ESTATE.
Financing Residential Real Estate Lesson 9: Qualifying the Property.
Def:It is an opinion of value rendered by an impartial person skilled in the analysis and evaluation of real estate Appraisals.
McGraw-Hill/Irwin Copyright (c) 2002 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 11 Chapter 11 Dispositions of.
Y15 Values: Your Market, Your Partners and YOU ANNUAL CONFERENCE KANSAS CITY, MO MAY 4, 2015.
McGraw-Hill/Irwin Copyright (c) 2003 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 11 Dispositions of Equity Interests.
Lessons Learned: Dispositions & Improving Organizational Execution in Year
Investment Program Overview
Legal Issues Impacting Nonprofit Properties Financed with LIHTCs
ACQUISITION/REHABILITATION: THE 10% ANTI-CHURNING RULE
Multifamily Partnership Opportunities Annual Conference of the
State Tax Credits – Brief Overview
Preserving LIHTC Properties After Year 15: Considerations for HFCs
Taxation of Individuals and Business Entities
Presentation transcript:

ACQUISITION/REHABILITATION: THE 10% RELATED PERSON RULE James F. Duffy, Esquire Nixon Peabody LLP 100 Summer Street Boston, MA (617) (866) (fax) HOUSING TAX CREDITS 101 IPED, INC. Phoenix, Arizona February 22-23, 2007

THE RULE Section 42(d)(2)(B)(iii) of the Code provides that in order to receive acquisition credits the building cannot previously been placed in service by the taxpayer or by a related person.

RELATED PERSON TEST Section 42(d)(2)(D)(iii)(II) tells you that a related person to a taxpayer means 10% or greater common ownership.

Selling Partnership GPOld LP Property Cash Buying Partnership New LP GP

How do you determine your percentage ownership in a LIHTC Partnership? LIHTC Partnerships are structured with partners receiving different percentage interests in different items: - Tax Credits - Cash Flow - Sale/Refinancing Proceeds - Maybe State Tax Credits

The LIHTC industry has prudently decided that if you have a 10% or greater interest in any item in the seller, you have to have less than a 10% interest in all items in the buyer.

Since a developer (GP) tends to have more than a 10% interest in Cash Flow in the old Partnership (the seller), the developer tends to have a 9.9% interest in Cash Flow and in Sale/Refinancing Proceeds in the new Partnership (the buyer).

Not your typical LIHTC business deal if the syndicator/investor has 90.1% of Cash Flow and Sale/Refinancing Proceeds.

So, what typically happens? - Partnership Management Fee - Incentive Management Fee

The question is whether or not these fees exceed a reasonable fee which would be paid to a third party service provider performing the same services.

Anything paid (or payable if there were Cash Flow) in excess of a reasonable fee could be reclassified as additional Cash Flow to the General Partner.

And, since were already at 9.9% of the Cash Flow going to the General Partner, theres no room for error.

The risk is the loss of all of the Acquisition Credits if the General Partner is deemed to really have a 10.01% interest in Cash Flow.

Look at these Cash Flow fees to see if theyre reasonable. For instance, would a third party service provider agree to be paid only if there were sufficient Cash Flow at that point in the Cash Flow waterfall?

A Cash Flow fee looks more like a real fee, rather than like a Cash Flow distribution, if it accrues, even if there is no Cash Flow available to pay it currently.

Newer Techniques: - Higher Property Management Fees – recently saw a property management fee equal to 14% of gross rental income, with the argument that there were very low rents – the property manager was affiliated with the General Partner

Purchase Money Notes - Payable to the selling partnership out of Cash Flow of the purchasing partnership - a good appraisal is important

Co-GP to Receive Cash Flow - Existing GP has 9.9% of Cash Flow and new Co-GP has 70-80% of Cash Flow. - Need to closely examine the full relationship between the two GPs.

Ground Lease - to an affiliate of the seller - appraisal issue -market rate ground lease

Development Fee for the Rehabilitation - especially if minimal rehabilitation - similar issue with fee to an affiliated general contractor for the rehabilitation work

Some investors are more risk adverse than others, so find out early on what is acceptable.

Also, dont forget the 10% test from the investor side. - usually OK to use the same syndicator as long as the ultimate investors dont cause a 10% problem