The Qualified Opportunity Zone Program: Thoughts on the Long-Awaited Treasury Guidance

Published date15 November 2018
Law FirmPillsbury Winthrop Shaw Pittman LLP
AuthorThomas Morton
Subject MatterIRS,Capital Gains,Proposed Regulation,U.S. Treasury,Partnerships,Real Estate Investments,Community Development,Internal Revenue Code (IRC),Tax Cuts and Jobs Act,Opportunity Zones,Qualified Opportunity Funds

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