Qualified Zone Academy Bonds

Qualified Zone Academy Bonds

Qualified Zone Academy Bonds (QZABs) are a U.S. debt instrument created by Section 226 of the Taxpayer Relief Act of 1997. QZABs allow certain qualified schools to borrow at nominal interest rates (as low as zero percent) for costs incurred in connection with the establishment of special programs in partnership with the private sector.

The annual allocation each year has been $400,000,000. The allocation is divided up by all fifty states and US possessions. QZABs are a temporary program, subject to reauthorization. The last authorization was for the calendar years 2006 and 2007. Authorizations must be used within two years following the year for which they were given, meaning that authorizations given in 2007 must be used by 2009. As of February 1, 2008, the President's budget did not include reauthorization of the QZAB program.Fact|date=February 2008

Public schools (K-12) located in empowerment zones or enterprise communities and public schools with 35% or more of their student body on the free and/or reduced lunch programs are eligible to participate.

In order for a school district to participate, a Zone Academy must be created. The Zone Academy must create programs to enhance the curriculum, increase graduation rates, improve employment opportunities, and better prepare students for the workplace or higher education.

Funds can be used for renovation and rehabilitation projects, as well as equipment purchases (including computers). QZABs can not be used for new building construction. The school district must obtain matching funds from a private-sector partner equal to at least 10% of the cost of the proposed project. All state and local laws applicable to bonds also apply to QZABs, including Section 148 of the IRS Code. A qualified lender as defined by the law must purchase bonds. Qualified lenders can be insurance companies, some banks or other corporations actively engaged in lending [http://www.ed.gov/offices/OVAE/qzabfin.html U.S. Department of Education Guidance on The Qualified Zone Academy Bonds (Section 226 of the Taxpayer's Relief Act of 1997, Section 1397E of the Internal Revenue Code)] , January 1998] (each qualifying entity is determined by the Internal Revenue Code governing each). The lender receives a tax credit in lieu of interest payments from the school. The IRS determines the amount of this tax credit.

"Pay to play" contributions are strictly prohibited. Set up fees, discounts on equipment purchased with QZAB funds, or contributions associated with the district’s construction projects are not eligible.

The renovation of Oak Ridge High School in Oak Ridge, Tennessee has been partially funded by $8 million in QZABs. Matching funds to qualify for QZAB funding were provided through private donations. [ [http://www.oakridger.com/stories/122105/com_20051221005.shtml School foundation makes first contribution] , by Kay Brookshire, "The Oak Ridger", December 21, 2005]

References

External links

* [http://www.ed.gov/programs/qualifiedzone/faq.html Qualified Zone Academy Bonds - Frequently Asked Questions] , U.S. Department of Education website
* [http://qzabs.com/qzab%20allocations.html List of State's QZAB Allocations for 2006 and 2007]
* [http://www.ed.gov/programs/qualifiedzone/index.html U.S. Department of Education Guidance on The Qualified Zone Academy Bonds] , January 1998
* [http://www.csba.org/Services/Services/FinancialServices/QZAB.aspx California School Boards Association]


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