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The December 2026 Opportunity Zone Deadline That Lets a Tech Founder Defer $2.4 Million of Capital Gain Tax for Eight More Years
Key takeaways
- A 10-year QOF hold can fully exclude all appreciation from federal capital gains taxes, potentially shielding $2.6 million on a $5 million exit.
- QOFs must keep 90% of assets in Opportunity Zone property, and the program was permanently extended under the One Big Beautiful Bill Act.
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The December 2026 Opportunity Zone Deadline That Lets a Tech Founder Defer $2.4 Million of Capital Gain Tax for Eight More Years Public Domain / Wikimedia Commons Christy Bieber Sun, June 7, 2026 at 11:43 PM GMT+7 3 min read NVDA Quick Read Jason Smith deferred $2.4 million in capital gains taxes by rolling proceeds into a Qualified Opportunity Fund within the required 180-day window.
A 10-year QOF hold can fully exclude all appreciation from federal capital gains taxes, potentially shielding $2.6 million on a $5 million exit.
QOFs must keep 90% of assets in Opportunity Zone property, and the program was permanently extended under the One Big Beautiful Bill Act.
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