Hello and welcome to our program, "Unqualified Opportunities Own Funds." I'm John Fryer, the Director of Business Development with SS and Siglo Bob, and I'll be the moderator for today's discussion. In a moment, I'll make some additional introductions, then cover a bit of housekeeping, and then we'll get into the guts of the panelists. Many of you know that the IRS was kind enough to recently release the revised regulations. A new set of regulations came out, I guess that was last Wednesday, so we've had a bit to do. Few people are aware, but the number of hits on the IRS website for the Opportunity Development Zones exceeds the number of hits on the websites for the Mueller report by 20%. So, this is far more interesting things, and we're glad you're here to join us today. Joining me today to my direct left is Mark Leeds, a partner tax partner with Mayor Brown. Followed by Gary Heck Novick, a tax partner from Deloitte. And Ryan Donovan, Managing Director at Jeffrey's. Mark is a partner in Mayor Brown's New York office, and his practice focuses on the tax consequences of a variety of capital markets products and strategies, including OTC derivative transactions, swaps, tax-exempt derivatives, and strategies for efficient utilization of tax attributes. He has been incredibly active in the Opportunity Development Zone arena as of late. Gary is a partner in the Washington National Tax Office of Deloitte, and he is a member of the firm's federal tax accounting periods, methods and credits group. With more than 26 years of public accounting experience in federal income tax credits and incentives, and related accounting methods and issues, the nature of the benefits that come with Opportunity Development Zones and some funds obviously is something of great concern to him. Ryan is a...
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What is 8996 qualified opportunity fund Form: What You Should Know
Form 896 Nov 30, 2024 — Form 8996–Qualified Opportunity Fund. A corporation is an investment company or a corporation which uses this form to verify that it is The Taxonomy of Qualified Opportunity Zone Properties, Part 2, Tax Form 940–NPF Aug 30, 2024 — Qualified Opportunity Zone Property. What these Form 8996 forms are used for: Interpreting and Completing OZ-Related Tax Forms July 20, 2024 — Interpretation of Form 8996, Qualified Opportunity Zone Property. The IRS created this form to assist parties who purchased property with the Qualified Opportunity Zone Investment Tax Credit. The form is meant to make the best use of your taxpayer return Where to Find Form 8996, (OZ) Tax Info, and OZ Property, Part 2 Tax Form 940-NQPF (Form 1094) Apr 23, 2024 — Form 8865—OZ Property. This IRS form is used to report on certain OZ property income. The form is intended to Interpretation of Form 8865 (OZ Property). Form 8865 (OZ Property) Mar 2024 — How to report a gain from the sale of property for which the Qualified Opportunity Zone investment tax credit has been claimed. (The OZ Property) Jun 2024 — Interpretation of Form 8865 (OZ Property) for additional income on an OVA PC claim or OVA PC return. Nov 1020 — Interpretation of Form 8865 (OZ Property). The purpose of this form is to help sellers of qualified opportunity zone property find out how to calculate Mar 5, 2045 — Interpretation of Form 8865 (OZ Property). The purpose of Form 8865 (OZ Property) is to help sellers of qualified opportunity zone property determine whether to airport tax on the sale of the qualified property and to provide additional reporting to the seller. (The Qualified Opportunity Zone Qualified Opportunity Zone Investment Tax Credit) Oct 1045 — Interpretation of Form 8996 Qualified Opportunity Zone Property. This form is meant to give interested sellers of qualified opportunity zone property information to help determine whether they should re-report the sale, and how to calculate taxes on the sale.
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