Qualified 501(c)(3) Bonds



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Qualified 501(c)(3) Bonds May 15, 2015 Denver, Colorado 24th Annual Institute on Advising Nonprofit Organizations Frederic H. Marienthal Partner Kutak Rock LLP Frederic.Marienthal@KutakRock.com 4815-3880-5027

Why Use Tax-Exempt Bonds Options Available to Fund Capital Projects Pay as you go Philanthropy * Donations Pledges Endowment Third party guarantees Grants Conventional taxable financing New Market Tax Credits Historic Tax Credits Tax-Exempt Bonds * For later discussion: Replacement proceeds, liquidity covenants and sinking funds. 2

Why Use Tax-Exempt Bonds, continued Tax-Exempt Bonds Compared to Taxable Debt Lower Rates Better Terms Broader Market Balance Sheet Leverage Cash is King or You don t have to be poor to borrow. 3

501(c)(3) Status Qualified 501(c)(3) bonds are tax-exempt private activity bonds issued by a state or local government, the proceeds of which are loaned to and used by a Section 501(c)(3) organization in furtherance of its exempt purpose. What are the requirements to be a Section 501(c)(3) organization? General Rule: Organized and operated exclusively for exempt purposes ( No private benefit ) No part of the organization s net earnings may inure to or for the benefit of any private shareholders or individuals ( No private inurement ) Not engaged in substantial lobbying activity Not engaged in political campaign activity Evidence of 501(c)(3) status IRS Determination Letter Group Ruling Letter 4

Typical 501(c)(3) Organizations Educational Cultural Recreational Colleges and Universities Auxiliary Foundations Independent Schools Charter Schools Faith-Based Schools * Research Institutions Museums Libraries Aquariums Cultural Venues Historical Preservation Public Broadcasting Stations Land and Open Space Conservation Local Sports Facilities Community Centers YMCAs JCCs Charitable Organizations Health Care Housing Headquarter Facilities Other Lessen the burden of government Student Housing Hotels Parking Facilities Toll Roads * Consider Establishment Clause considerations. Hospitals Clinics CCRCs Non-Profit Housing Providers 5

Eligible Uses of Tax-Exempt Bond Proceeds Capital Expenditures Refinancing Prior Debt Reimbursing Prior Capital Expenditures Working Capital (up to 5%) Costs of Issuance (up to 2%) Capitalized Interest (up to 36 months) Debt Service Reserve Fund ( lesser of test ) 6

Conduit Bond Issuers The bonds are issued by a state or local governmental entity. The proceeds of the bonds are loaned to the nonprofit organization. cities counties CHFA, CECFA & COHFA PFA The bonds will be special limited obligations of the issuer secured solely by loan payments made by the borrower and collateral pledged by the borrower. Documentation will vary based upon who the purchaser of the bonds will be. public offerings private placements limited offerings direct placements 7

Bond Issue Structure & Parties (Simple fixed rate) $ Underwriter 2 Issuer Bonds/Purchase Contract 1 $ Bonds/Official Statement Bondholders 5 $ Bond Payments $ 3 Borrower(s) (Project) Mortgage/Financing Agreement 4 $ Trustee 8

Bond Issue Structure & Parties (Floating/variable rate demand with GIC and Swap) Tender Agent Tender Bonds Resell Bonds $ Bonds Liquidity Provider $ Underwriter 1 Issuer Bonds/Official Statement Bonds/Purchase Contract 3 2 $ $ Bond Payments (Floating Rate) Bondholders 7B LOC Credit Enhancer Borrower(s) (Project) Mortgage/Financing Agreement 6 5 GIC Provider $ Trustee 4 Interest 7A Rate $ $ Fixed Interest Rate Swap Provider $ Floating Interest Rate 9

Basic Requirements of IRC Section 145 Section 145(a)(1) - Ownership Requirement All property financed by the net proceeds of a qualified 501(c)(3) bond issue must be owned by a 501(c)(3) organization or a state or local government throughout the term of the bonds. Section 145(a)(2) - Use Requirement At least 95% of net proceeds of bonds must be used by (i) a 501(c)(3) organization engaged in exempt activities or (ii) a state or local governmental unit. 10

Ownership Requirement What entity owns the property? Non-profit corporation Governmental Unit Limited liability company (single member vs. multiple member) Joint venture (restrictions apply) Partnership (restrictions apply) Legal title vs. ownership for tax purposes 11

Use Requirement 95% of net proceeds of the bonds must be used for good use Use of property = use of proceeds Net proceeds Net of DSRF Include investment earnings Soft costs included in financing Costs of issuance - not treated as a good use; 501(c)(3) bonds treated differently than other taxexempt bonds Qualified guarantee fees (bond insurance, LOC fees) and qualified hedge fees - allocated based on other uses of the proceeds ( neutral cost ) 12

Use Requirement Use by a 501(c)(3) organization in an unrelated trade or business is not good use. Unrelated trade or business (Section 513(a) of the Code) is: any trade or business regularly carried on no substantial causal relationship to furthering the exempt purpose 13

Use Requirement Types of use Ownership Leases - both lessor and lessee are users Partnerships and Joint Ventures Management contracts Research contracts Other actual or beneficial use 14

Management Contracts Rev. Proc. 97-13 (as later modified by Rev. Proc. 2001-39 and Notice 2014-67) provide safe harbors for service and other management contracts Management contract - agreement between exempt person and service provider under which services for all or a portion of, or any function of, a facility are provided. 15

Management Contracts Safe Harbors No portion of compensation based on a share of net profits Length of contract will depend on type of compensation (fixed vs. variable payments) For some safe harbors, exempt person must have rights to terminate after a set period without penalty and without cause Appropriate treatment of manager s employee expenses 16

Research Agreements Rev. Proc. 2007-47 (formerly 97-14) provides safe harbors for research agreements A research agreement with a corporate or government sponsor to sponsor research performed by a 501(c)(3) charitable organization or a state or local government unit conducted with property financed by qualified 501(c)(3) bonds may create private business use. Safe Harbors exist for corporate / industry sponsors and the federal government. In general, the sponsor is allowed a non-exclusive license or use of the research product after paying a competitive fair market value price. Allows research governed by Bayh-Dole Act procedures so long as safe harbor is met. 17

$150 Million Limit on Non-hospital Bonds 501(c)(3) organization cannot have more than $150 million of non-hospital bonds allocated to it Examples of non-hospital entities include nursing homes, day care centers, medical school facilities, research labs, and urgent care facilities. Amended on 8/5/97 Most new money bonds will not be subject to limitation Still may need to address limitation for refunding bonds and some new money deals with non-capital expenditures exceeding 5% 18

Residential Rental Housing 501(c)(3) bonds may not finance residential rental property for family units unless: Bonds finance new residential rental property (first use rule) Bonds finance qualified residential rental property (Section 142(d)) Requires meeting certain low-income set aside minimums Bonds finance property that will be substantially rehabilitated within a 2 year period beginning 1 year after the date of acquisition of such property (substantial rehabilitation means an amount equal to the total amount of bond proceeds used to acquire the buildings and improvements but not the land) 19

Residential Rental Housing What is residential rental property? Housing units not used on transient basis and provide complete facilities for living, sleeping, eating, cooking and sanitation Rev. Rul. 98-47 - How do you treat facilities providing different levels of service? 1 - Is all or any part of the facility comprised of complete living units? Yes go to step 2 No the facilities are NOT residential rental property 2 - If so, does the facility make available continual or frequent nursing, medical or psychiatric services? Yes the facilities are NOT residential rental property No the facility is residential rental property 20

Other Tax Requirements Section 147(b) average maturity of qualified 501(c)(3) bonds cannot exceed 120% of the average reasonably expected economic life of the property financed or refinanced with the proceeds of the bond issue Section 147(e) no skyboxes, airplanes, gambling facilities and liquor stores (but health club facilities are allowed for qualified 501(c)(3) bonds) Section 147(f) TEFRA hearing and approval Section 147(g) 2% limit on cost of issuance Section 148 - arbitrage/rebate Section 149(a) registered form Section 149(b) no federal guarantee Section 149(e) timely file IRS Form 8038 Section 149(g) no hedge bonds 21

Other Tax Requirements A 501(c)(3) organization may spend money on a project in anticipation of a qualified 501(c)(3) bond issuance and then wish to reimburse itself from bond proceeds for these expenditures when the bonds are issued Reimbursement issues (Treasury Regulations Section 1.150-2; see also Section 148) Declaration of official intent within 60 days after the payment of the original expenditures to be reimbursed Can be by 501(c)(3) entity, rather than issuer of bonds Time periods covered: Reimbursement must be made not later than 18 months after the later of:» The date the original expenditure is paid OR» The date that the financed project is placed in service or abandoned BUT in no event later than 3 years after the date of the original expenditure Preliminary expenditures exception to official intent De minimus exception to official intent 22

Other Tax Requirements Section 148 arbitrage and rebate requirements Arbitrage restrictions on earnings above the bond yield apply to gross proceeds, which include replacement proceeds Replacement proceeds Endowment funds Fundraising campaigns (pledge cards) Pledged funds Negative pledges Liquidity covenants 23

501(c)(3) Counsel Legal Opinion 501(c)(3) status and no unrelated trade or business income with respect to the financed facilities Reliance on IRS Determination Letter Borrower s counsel should perform a due inquiry has there been anything since the 1023 application that might jeopardize the 501(c)(3) status? Section 513 Opinion Section 509(a) Opinion Section 7701 Opinion Group Exemptions Documents are valid and binding obligations, properly approved and executed, duly organized and existing, no litigation, no contravention 24

501(c)(3) Due Diligence Items to review to verify 501(c)(3) status IRS Form 1023 Application IRS Determination Letter IRS Forms 990 and 990-T Schedule K regarding tax-exempt bonds Articles of Incorporation and Bylaws Corporate Minutes Organizational Chart Agreements with employees, directors, officers, etc. Audited Financial Statements Annual Report Fund raising materials Accreditation self studies 25

501(c)(3) Diligence Issues 1. Organizational Test. 2. IRS Determination. 3. Operational Test. 4. Private Benefit/Inurement. 5. Lobbying/Political Campaigns. 6. Unrelated Business Activity. 7. Reporting Obligations. 8. Community Health Needs Assessments and Policies. 9. General Compliance Hygiene. 26

Contact Frederic H. Marienthal III Partner Kutak Rock LLP Frederic.Marienthal@KutakRock.com Denver Office Suite 3000 1801 California Street (303) 297-2400 27