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Among the recently released final Opportunity Zone regulations is a brand-new rule that gives qualified investors a second chance at deferring federal taxes, even when their Section 1031 exchange has failed in a given year. The complicated process mainly involves installment sales and finding the right timeline to invest in a qualified opportunity zone fund.

In a recent article, CGS3 partner Phil Jelsma explores the uncharted territories of reinvesting taxable assets into an OZ fund.

Read the full article from The Daily Journal here or the full article from The Daily Transcript here (subscription required).