Transcript Slide 1

October 19, 2010
South Carolina GFOA 2010 Fall Conference
IRS Compliance Reporting for Direct-Pay Bonds
So…….
What Are Direct-Pay Bonds?
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Types of Direct-Pay Bonds
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Build America Bonds (BABs)
Recovery Zone Economic Development Bonds (RZEDBs)
Qualified School Construction Bonds (QSCBs)
Qualified Zone Academy Bonds (QZABs)
New Clean Renewable Energy Bonds (CREBs)
Qualified Energy Conservation Bonds (QECBs)
Build America Bonds (BABs)
Created by the American Recovery and Reinvestment Act of 2009 (ARRA)
Are taxable to the bondholder (investor)
Issuer receives a 35% interest subsidy payment
Must qualify as a governmental bond, not a private activity bond
May be used to finance capital expenditures on projects, but cannot be used to
refund previously issued bonds (other than certain short-term obligations)
Issuance of BABs currently is set to expire on 12/31/10. Expiration date may
be extended
BABs are subject to the arbitrage rebate and yield restriction requirements!!!
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Recovery Zone Economic Development Bonds
 Must meet all requirements of Build America Bonds (BABs)
 Issuer receives a 45% interest subsidy
 Must be used for qualified economic development purposes
 Subject to volume cap limitations ($115 million was allocated to South
Carolina local governments) – federal government originally allocated
issuance authority to cities and counties throughout the State; State deemed
unused authority waived, and has been reallocating
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Qualified School Construction Bonds (QSCBs)
 100% of “Available Project Proceeds” must be used for construction,
rehabilitation or repair of a public school facility or the acquisition of land on
which such a facility is to be constructed
 Subsidies from the federal government equal the lesser of
 1) 100% of interest payable on the bond on such date, or
 2) 100% of interest that would be payable on the bond on such date
if the interest were determined at the applicable credit rate
determined on the sale date
 Subject to volume cap limitations ($131 million to South Carolina in 2009;
$130 million to South Carolina in 2010)
 Proceeds must be spent within three years or used to redeem bonds
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Qualified Zone Academy Bonds (QZABs)
 100% of “Available Project Proceeds” must be used to rehabilitate or repair a
public school facility, provide equipment or develop course materials and
training teachers and other school personnel.
 Subsidies from the federal government equal the lesser of
 1) 100% of interest payable on the bond on such date, or
 2) 100% of interest that would be payable on the bond on such date
if the interest were determined at the applicable credit rate
determined on sale date
 Subject to volume cap limitations ($22 million to South Carolina in 2009; $23
million to South Carolina in 2010)
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New Clean Renewable Energy Bonds (CREBs) and
Qualified Energy Conservation Bonds (QECBs)
 CREBs may be used to finance renewable energy projects
 QECBs may be used to finance energy conservation projects
 Subsidies from the federal government equal the lesser of
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100% of interest payable on the bond on such date, or
 2) 70% of interest that would be payable on the bond on such date if the
interest were determined at the applicable credit rate determined on sale date
 CREBs and QECBs are subject to volume cap limitations:
 CREBs – Volume cap has been allocated
 QECBs - $46 million in South Carolina
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Now…
You are going to issue a Direct-Pay Bond.
What reporting will be required?
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IRS COMPLIANCE
Compliance at Closing
 IRS Form 8038-B (filed for BABs and RZEDBs)
 IRS Form 8038-TC (filed for QSCBs, QZABs, CREBs and QECBs)
Post-Issuance Compliance
 Calculate interest subsidy and file IRS Form 8038-CP (Calculation Agent)
 Calculate arbitrage rebate and arbitrage yield restriction (Rebate Analyst)
 Maintain records and create written procedures (Reporting Agent)
 Complete IRS Form 14127
All of the IRS forms can be found at www.irs.gov
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IRS Form 8038-CP
 IRS Form 8038-CP is used for all Direct-Pay Bonds to request interest subsidy payments
from the federal government
 For fixed-rate bonds, IRS Form 8038-CP must be filed no earlier than 90 days and no
later than 45 days prior to the applicable interest payment date
 For variable-rate bonds, when the issuer knows the interest payment amount, IRS Form
8038-CP must be filed in the same manner as the fixed rate bonds
 For variable-rate bonds, when the issuer does not know the interest payment amount 45
days before the interest payment date, the issuer must aggregate all credit payments on a
quarterly basis (based on the issue date of the Bonds) and file IRS Form 8038-CP for
reimbursement in arrears no later than 45 days after the last interest payment date
 IRS Form 8038-CP was revised in January 2010 to permit the direct deposit of the
subsidy to issuer’s designated account
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IRS Form 14127
In order to continue to receive the subsidy payments, issuers must comply
with a range of post-issuance IRS requirements, including the completion of
IRS Form 14127.
 The IRS has indicated that every Issuer of BABs and RZEDBs will receive
IRS Form 14127
 The IRS has indicated that it will send a similar questionnaire for all other
types of Direct-Pay bonds
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Sample Questions from IRS Form 14127
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Sample Questions from IRS Form 14127
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Sample Questions from IRS Form 14127
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Sample Questions from IRS Form 14127
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Your Calculation Agent, Rebate Analyst
and Reporting Agent can provide you with certain
required information and assist you in
completing IRS Form 14127.
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Presenter Information
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Michael Larsen
Parker Poe Adams & Bernstein LLP
200 Meeting Street
Charleston, SC 29401
t 843.727.6311
f 843.727.2680
[email protected]
Thomas K. Dawkins
The Bank of New York Mellon
10161 Centurion Parkway
Jacksonville, FL 32256
t 904.998.4731
f 904.645.1972
[email protected]
Kristen Kalinowski
The Bank of New York Mellon
5050 Poplar Ave., Suite 1717
Memphis, TN 38157
t 704.564.4377
f 901.507.1747
[email protected]
Sheila Papelbon
The Bank of New York Mellon
10161 Centurion Parkway
Jacksonville, FL 32256
t 904.645.1945
f 904.645.1997
[email protected]