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January 26, 2021
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Tips for Realizing Qualified Small Business Stock Benefits for Fund Investments and Certain Convertible Instruments (Part Two of Two) By Michael B. Gray, Jeffrey S. Shamberg and Eric M. McLimore, Neal, Gerber & Eisenberg LLP
Although many entrepreneurs and investors are intrigued by the potential tax advantages of holding Qualified Small Business Stock (QSBS) under Section 1202 of the Internal Revenue Code of 1986 (Code), many avoid the approach due to a misconception that it is only available when directly investing in early-stage businesses. There is, however, a range of techniques for securing QSBS tax benefits in a broad number of contexts, including when investing through a private fund with non-traditional instruments (e.g., convertible instruments). This two-part series provides insights about QSBS tax treatment and practical tips for how fund managers can take advantage. This second article explains how fund investments, Simple Agreements for Future Equity (SAFEs) and convertible instruments can receive and preserve QSBS status. The first article identified techniques for converting certain existing businesses operated through nonqualifying “flow-though” or “pass-through” entities into qualified small businesses (Qualified Small Businesses). For coverage of another tax-advantageous investment technique, see “Final Regulations Clear the Way for PE‑Backed Opportunity Zone Investments in 2020 and Beyond”
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(Mar. 31, 2020); and “What Unique Tax and Structuring Challenges Do Qualified Opportunity Funds Present to Sponsors and Investors?” (Jun. 25, 2019).
Types of Investments Fund Investments Under certain circumstances, fund investors can receive allocations of gain from a fund’s sale of QSBS and exclude the gain from their income as a qualifying sale of QSBS. For private funds structured as partnerships, QSBS treatment is only available if fund investors hold their interests when the fund acquires its QSBS investment, throughout the five-year holding period and when the fund disposes of its QSBS investment. Multiple Investment Rounds As fund investments are commonly structured with multiple investment rounds, QSBS treatment is often unavailable for investors in later-stage rounds – even if they had already invested in earlier rounds. Thus, if an investor were to increase its percentage ownership interest in the fund in a subsequent investment round, the amount of gain the investor could 1