Originally posted by
@Scott McIntosh:
@Pankaj Kumar
First of all, congrats on accidentally stumbling into a $130k profit! That's a pretty phenomenal situation to be in. Now that you're in that spot, you've got two viable options to defer some/all of your gain.
A. 1031 exchange or partial exchange, with a potential refi down the road to get some extra cash out (as @Dave Foster outlined).
B. Reinvest the gains (or any part of them) in a Qualified Opportunity Fund. The fact that you're not an accredited investor may keep you out of certain passive investments in institutional funds, but doesn't disqualify you from the OZ benefits.
I've created qualified opportunity funds for dozens of clients who wanted to actively reinvest their recently realized capital gains in Opportunity Zone Properties or Businesses -- some started their fund with as little of $500 in long-term capital gains and others have had millions of short-term capital gains. Once the fund is created, it functions largely like a standard real estate investment LLC, with some additional compliance/reporting requirements. The mechanics are as follows:
1. Create a "personal captive" Qualified Opportunity Fund (needs to be a partnership or corporation -- not a single-member disregarded entity). Partnership structure within an LLC generally works best when the plan is to reinvest in real estate.
2. Open a bank account for your QOF, and deposit recently realized capital gains into that account within 180 days of realization (or 180 days of the end of the tax year, if the gains come to you on a K-1). This triggers the capital gains deferral for you, which your CPA can record on IRS form 8449 using code "z" for the deferred gain.
3. Find and purchase property within a designated opportunity zone that you'd like to own as a long-term rental, and that needs "substantial improvement." Substantial improvement is defined as capital investment that doubles the basis in the structure within a 30 month period. Structure is italicized because you can back out the land value, which helps alot in making the threshold achievable. For example, if you buy a single-family home in an opportunity zone for 85k and you can reasonably attribute $35k as the value of the lot, your threshold for substantial improvement is capital improvements that result in additions to basis of 85k-35k = $50k. Alternately, if you buy and develop raw land in an OZ, that threshold does not apply.
4. Find a good tenant, begin collecting rental income, and remain actively involved in your rental property business. Note that you can use as much leverage in an OZ investment as you like, so in your scenario you could choose to use your full gain to fund a cash purchase and renovation of one property (like the one described above) or to leverage that transaction and buy several others.
5. Attach IRS Form 8996 to the annual partnership tax return for your OZ fund, certifying that at least 90% of your funds assets were qualified opportunity zone property.
6. Enjoy the OZ benefits during the time you remain invested in your qualified opportunity fund -- capital gain deferral until the end of 2026, 15% reduction in the amount of your deferred capital gain subject to tax in 2026, and a step-up in basis to fair market value at sale, if you hold your interest in the Qualified Opportunity Fund for 10 years or more.
Standard Legal Disclaimer: The OZ Legislation and Regulations are ~250 pages long to date, and additional guidance is still forthcoming. The description above of the mechanics of an OZ investment was written as a general overview, and is not a substitute for individual legal advice. Contact an attorney with expertise in structuring Opportunity Zone investments if this is an area you'd like to pursue further.