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Current as of January 01, 2024 | Updated by Findlaw Staff
(A) As used in this section, “Ohio-qualified real estate investment trust” means a real estate investment trust that is traded on a public stock exchange and that was traded on a public stock exchange on January 1, 2012.
(B) For the purpose of computing the total Ohio equity capital under division (C) of section 5726.04 of the Revised Code for a financial institution the total equity capital of which includes investments in an Ohio-qualified real estate investment trust, the following amounts shall be subtracted for the tax year specified:
(1) For tax year 2014, eighty per cent of the institution's investment in an Ohio-qualified real estate investment trust as of January 1, 2012;
(2) For tax year 2015, sixty per cent of the institution's investment in an Ohio-qualified real estate investment trust as of January 1, 2012;
(3) For tax year 2016, forty per cent of the institution's investment in an Ohio-qualified real estate investment trust as of January 1, 2012;
(4) For tax year 2017, twenty per cent of the institution's investment in an Ohio-qualified real estate investment trust as of January 1, 2012.
For tax years after tax year 2017, no deduction is allowed for an investment in an Ohio-qualified real estate investment trust.
(C) For the purpose of computing the apportionment factor under section 5726.05 of the Revised Code for a financial institution the total equity capital of which includes investments in an Ohio-qualified real estate investment trust, the following amounts shall be subtracted from both the numerator and denominator of the apportionment factor fraction for the tax year specified:
(1) For tax year 2014, eighty per cent of the gross receipts from an Ohio-qualified real estate investment trust;
(2) For tax year 2015, sixty per cent of the gross receipts from an Ohio-qualified real estate investment trust;
(3) For tax year 2016, forty per cent of the gross receipts from an Ohio-qualified real estate investment trust;
(4) For tax year 2017, twenty per cent of the gross receipts from an Ohio-qualified real estate investment trust.
For tax years after tax year 2017, no deduction is allowed from the apportionment factor fraction for gross receipts from an Ohio-qualified real estate investment trust.
Cite this article: FindLaw.com - Ohio Revised Code Title LVII. Taxation § 5726.041 - last updated January 01, 2024 | https://codes.findlaw.com/oh/title-lvii-taxation/oh-rev-code-sect-5726-041/
FindLaw Codes may not reflect the most recent version of the law in your jurisdiction. Please verify the status of the code you are researching with the state legislature before relying on it for your legal needs.
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