ARTICLE
3 June 2026

Big Law Redefined: From QOZ 1.0 To 2.0: Capital, Zones, And What Changed (Podcast)

GT
Greenberg Traurig, LLP

Contributor

Greenberg Traurig, LLP has more than 3,100 lawyers across 51 locations in the United States, Europe, the Middle East, Latin America, and Asia. The firm’s broad geographic and practice range enables the delivery of innovative and strategic legal services across borders and industries. Recognized as a 2025 BTI “Best of the Best Recommended Law Firm” by general counsel for trust and relationship management, Greenberg Traurig is consistently ranked among the top firms on the Am Law Global 100, NLJ 500, and Law360 400. Greenberg Traurig is also known for its philanthropic giving, culture, innovation, and pro bono work. Web: www.gtlaw.com.

The Qualified Opportunity Zone program has undergone a major transformation with the passage of the One Big Beautiful Bill, shifting from a temporary framework to a permanent fixture with enhanced incentives and new rural investment categories.
United States Tax

The Qualified Opportunity Zone program is entering a new era. In this episode of Greenberg Traurig's Big Law Redefined Podcast, guest host Hayden Dempsey, chair of the firm’s Florida Government Law & Policy Practice, sits down with Shareholder Jim Lang, who leads GT's Qualified Opportunity Zone national team, to break down the sweeping changes brought by the One Big Beautiful Bill and what they mean for developers, investors, and fund sponsors across the country.

Jim and Hayden walk through the most consequential shifts from QOZ 1.0 to QOZ 2.0, starting with the program's new permanent status, which replaces what had been a framework set to expire on Dec. 31, 2026.

They discuss the rolling five-year tax deferral replacing the hard-coded deferral deadline, the redesignation process launching July 1, 2026, and why this round of zone selections will be more targeted and deliberate than the rushed 2018 designations.

The conversation also covers the newly created Qualified Rural Opportunity Fund category and its significantly enhanced tax incentives, including a 30% basis step-up after a five-year hold compared to the standard 10%, as well as a reduced substantial improvement threshold for rural properties.

Jim and Hayden also address how governors are approaching the designation process, why advocacy at the state and local level matters more than ever, and how local governments can align their land use and permitting frameworks to attract private capital into designated zones.

Finally, they talk about the new reporting and compliance requirements coming under 2.0 and the critical transition period between now and Dec. 31, 2028, when the old and new zone maps will overlap and key questions about cross-investment between 1.0 and 2.0 tracks remain pending further guidance.

Tune in!

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