Reg. § 1.144-1 Qualified small issue bonds, qualified student loan bonds, and qualified redevelopment bonds.

26 CFR § 1.144-1eCFR, current through 2026-07-14

(a) Overview Interest on a private activity bond is not excludable from gross income under section unless the bond is a qualified bond. Under section , a qualified small issue bond issued under section may be a qualified bond. Under section , any qualified small issue bond is any bond issued as a part of an issue 95 percent or more of the proceeds of which are to be used to provide certain manufacturing facilities or certain depreciable farm property and which meets other requirements. Under section a qualified redevelopment bond issued under section is a qualified bond. Under section , a qualified redevelopment bond is any bond issued as a part of an issue 95 percent or more of the net proceeds of which are to be used for one or more redevelopment purposes and which meets certain other requirements.

(b) Scope Sections through 1.144-2 apply for purposes of the rules for small issue bonds under section and qualified redevelopment bonds under section , except that does not apply to the requirements for qualified small issue bonds under section (relating to the limitation on capital expenditures) or under section (relating to the aggregate limit of tax-exempt bonds per taxpayer).

(c) Effective dates For effective dates of through , see .

[T.D. 8712, 62 FR 2303, Jan. 16, 1997]