A Revamp to Opportunity Zone May Mean a Major Tax Savings Opportunity for Investors

Tax Implications of Selling a Property

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Congress is cooking up a refreshed version of the Opportunity Zone program—call it OZ 2.0—with a slate of investor-friendly updates that could make the next wave of OZ investing more flexible, more accessible, and may be a welcomed injection of opportunity for real estate investors. While we do not know what changes will be proposed by the Senate and what the final bill enacted into law will ultimately be, the current bill passed by the House has revamped tax incentives, more lenient time restrictions, and expanded eligibility. Here is where the bill currently stands, so you can start to get a sense of what could be coming—and why now might be the right time to take a second look at this tax deferral strategy.

Reduction in Taxes

The proposed bill would replace the previous tiered system of basis step-ups (10% after five years, 15% after seven) with a simplified and more generous model:

  • 10% basis step-up after a five-year hold for non-rural QOZ investments
  • 30% basis step-up after a five-year hold for rural QOZ investments

These apply to new investments made after December 31, 20261,2,3. Importantly, the 100% basis step-up after a 10-year hold- which eliminates capital gains tax on gains that take place within the QOZ fund. This means that holding an investment for 10 years could still result in zero tax on the growth4,5.

Deferment of Taxes Extended

Currently, deferred capital gains must be recognized by the end of 2026. However, the proposed legislation may extend that deadline to 2028 or beyond, giving investors more time to realize gains and reinvest them into OZ funds6.

This deferral effectively works like an interest-free loan from the IRS, giving investors the opportunity to put that capital to work for an extra two to three years before taxes are due.

Expanded Eligibility

For the first time, investors may be allowed to contribute up to $10,000 of ordinary income (not just capital gains) to a QOZ fund over the life of the program. While the tax advantages for these contributions are more limited, this provision gives smaller or non-institutional investors an opportunity to participate—especially those who are investing based on project fundamentals rather than tax strategy alone7,8,9.

60-Month Working Capital Safe Harbor

Under current rules, Qualified Opportunity Zone Businesses (QOZBs) face tight deadlines for deploying investor capital—typically requiring rapid action to acquire assets, begin development, or grow operations.

The new proposal would extend the Working Capital Safe Harbor period to 60 months (five years), giving QOZBs significantly more breathing room to execute their business plans. This added runway could increase the likelihood of success by allowing more time to address unforeseen delays or market shifts10.

What to Expect Going Forward

With OZ 2.0 on the horizon, the Opportunity Zone landscape could become more investor-friendly than ever—offering stronger tax perks, greater flexibility, and a longer runway to deploy capital.

Whether you’re sitting on capital gains, exploring your first OZ deal, or just intrigued by the idea of tax-advantaged real estate in emerging markets, now is the time to start planning.

Because if these reforms pass, the investors who are ready to move quickly may be the ones best positioned to benefit.

Schedule a call with our team to explore how these potential changes could fit into your 2025 strategy.

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1 https://opportunityzones.com/2025/05/new-opportunity-zone-legislation-mostly-misses-the-mark/
2 https://www.gtlaw.com/en/insights/2025/5/house-proposes-updates-to-qualified-opportunity-zones

3 https://www.novoco.com/notes-from-novogradac/proposed-reconciliation-legislation-provides-for-renewal-of-opportunity-zones-and-increased-incentives-for-rural-investment

4 https://www.investnext.com/blog/opportunity-zones-2025/

5 https://wealthgenadvisor.com/opportunity-zones-in-2025-is-it-too-late-to-invest

6 https://opportunityzones.com/2025/03/ozpd-trump-legislation-334/

7 https://www.brookings.edu/articles/whats-happening-with-opportunity-zones-in-the-reconciliation-bill

8 https://www.novoco.com/notes-from-novogradac/proposed-reconciliation-legislation-provides-for-renewal-of-opportunity-zones-and-increased-incentives-for-rural-investments

9 https://www.pillsburylaw.com/en/news-and-insights/opportunity-zones-big-beautiful-bill.html

10 https://www.hcvt.com/alert-Opportunity-Zone-Investing-Timeline

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This article is for informational purposes only, and is not a recommendation or offer to buy or sell securities. Information herein may include forward looking statements and is for informational purposes only. Forward-looking statements, hypothetical information, or calculations, financial estimates and targeted returns are inherently uncertain. Past performance is never indicative of future performance. None of the opinions expressed are the opinions of RealtyMogul. Advice from a securities professional is strongly advised, and we recommend that you consult with a financial advisor, attorney, accountant, and any other professional that can help you to understand and assess the risks and tax consequences associated with any real estate investment. All real estate investments are speculative and involve substantial risk and there can be no assurance that any investor will not suffer significant losses. A loss of part or all of the principal value of a real estate investment may occur. All prospective investors should not invest unless such prospective investor can readily bear the consequences of such loss.

RealtyMogul and its affiliates are not registered as a crowdfunding portal. Unless stated otherwise in writing, RealtyMogul and its affiliates do not offer brokerage or investment advisory services to the Platform’s individual users. RM Adviser, LLC, a wholly owned subsidiary of RealtyMogul, is an SEC-registered investment adviser providing investment management services exclusively to certain REITs and single purpose funds. Past performance is not indicative of future results. Forward-looking statements, hypothetical information or calculations, financial estimates, projections and targeted returns are inherently uncertain. Such information should not be used as a primary basis for an investor’s decision to invest. Investments in real estate, including those offered by sponsors using the RealtyMogul platform, are speculative and involve substantial risk. You should not invest unless you can sustain the risk of loss of capital, including the risk of total loss of capital.

Stephen Haskell (BrokerCheck) is Vice President at RealtyMogul and brings a wealth of experience, having previously served as Senior Vice President at a leading investment firm, where he worked closely with 1031 exchange and direct investment clients. In his previous role, Steve established himself as a leading expert in Delaware Statutory Trust (DST) and passive real estate investments. During that time, Steve directly participated in finding solutions for clients to invest hundreds of millions of dollars in real estate via private securities such as DSTs, TIC, LLC, REITs and QOZ Funds. Prior to his tenure in the securities industry, Steve served over 14 years as an officer in the United States Air Force including multiple deployments to Afghanistan and locations throughout Africa.
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