Certainty at Last: Safe Harbor Guidance Issued for Historic Tax Credit Transactions
The new guidance does not establish substantive tax law. Rather it creates a “safe harbor” for structuring HTC transactions. Compliance with the terms of the guidance provides certainty that the HTC generated by a project will be treated as allocated to the investor and that the investor will be respected by the IRS as a partner in the allocating partnership for federal tax law purposes.
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