The Internal Revenue Service (IRS) has released it latest LIHC Newsletter, which provides a forum for information about Section 42, the Low-Income Housing Tax Credit (LIHTC), and communicating technical knowledge and skills, guidance, and assistance for developing LIHTC issues.
The Internal Revenue Service (IRS) recently released Notice 2013-15 to announce the 2013 Calendar Year Resident Population Figures, which are used to determine each state’s 2013 Low-Income Housing Tax Credit (LIHTC) ceiling and tax-exempt private activity bond volume caps.
NH&RA was thrilled to welcome over 250 participants to the Loews Miami Beach Hotel in South Beach for our 2013 Annual Meeting. All conference materials, Power Point presentations, relevant articles, reports, memos, etc. are available below under the relevant session titles.
After months of stalemate on December 31 (US Senate) and January 1 (US House of Representatives) respectively, has passed HR 8, The American Taxpayer Relief Act, which addresses the tax provisions of the “fiscal cliff.” The legislation is expected to be signed into law by President Obama imminently. The legislation includes a number of tax extenders including extensions of most of the expiring “Bush-era” income tax rates, a permanent “patch” for the alternative minimum tax, and most notably for NH&RA members extensions of the New Markets Tax Credit and the fixed 9 percent rate for the Low-Income Housing Tax Credit through 2013. The measure also postpones sequestration, automatic spending cuts to government spending that was set to occur in January, by two months to allow time for further negotiation.
Internal Revenue Service (IRS) recently announced that certain government entity issuers of tax-exempt bonds affected by Hurricane Sandy may qualify for extended time to file certain returns related to tax-exempt bonds, qualified tax credit bonds, and specified tax credit bonds.
The Internal Revenue Service (IRS) recently issued Notice 2013-9 to suspend certain requirements under Section 142(d) of the Internal Revenue Code for qualified residential rental projects financed with tax exempt bonds in order to provide emergency housing relief needed as a result of Hurricane Sandy.
The Treasury Department’s 2012″“2013 Priority Guidance Plan contains 317 projects that are priorities for allocation of the resources of its offices during the twelve-month period from July 2012 through June 2013 (the plan year). Several items pertain to the Low-Income Housing Tax Credit, New Markets Tax Credit and various energy credits.
The Appeals Court for the Federal Court of Claims recently reversed a lower-court opinion on the Consolidated Edison Company of New York, Inc. vs. United States case. The court concluded that Consolidated Edison’s Lease-In Lease-Out (LILO) transaction did not have economic substance and the purported lease was not a “true lease”.
The Internal Revenue Service (IRS) has released it latest LIHC Newsletter, which provides a forum for networking and sharing information about Section 42, the Low-Income Housing Tax Credit, and communicating technical knowledge and skills, guidance, and assistance for developing LIHTC issues.
NH&RA was pleased to welcome over 200 industry professionals to our 2012 Fall Developers Forum. All conference materials including Power Point presentations, reports, memos and articles from the conference are available for download.
The Internal Revenue Service (IRS) recently revolved a previous Private Letter Ruling (PLR) 201214007 which indicated that power purchase agreements (PPAs) are excluded from the purchase price allocation on wind transactions.
The Government Accountability Office (GAO) recently released a report entitled “Low-Income Housing Tax Credits: Agencies Implemented Changes Enacted in 2008, but Project Data Collection Could Be Improved” which examines the implementation of changes to the Low-Income Housing Tax Credit (LIHTC) program which occurred under the Housing and Economic Recovery Act (HERA) of 2008.