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Sale of a Business and Qualified Opportunity Funds: Deferral, Exclusion, and . . . Risk?

By Farrell Fritz P.C. on February 5, 2019
Posted in Federal Tax Issues

A lot has been written about the tax benefits of investing in a Qualified Opportunity Fund. Some have suggested that the gain from the sale of a closely held business may be invested in such a fund in order to defer the recognition of this gain and to shelter some of the appreciation thereon.

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