
24 June 2026 • 1 minute read
REIT Tax News - June 2026

Joint Committee on Taxation Bluebook addresses REIT provisions of the One Big Beautiful Bill Act
See our discussion of the OBBBA’s impact on the taxation of REITs here.

National Association of Real Estate Investment Trusts submits recommendations for 2026–2027 Priority Guidance Plan
On May 29, 2026, the National Association of Real Estate Investment Trusts (Nareit) submitted its recommendations in response to Internal Revenue Service (IRS) Notice 2026-23 for the 2026–2027 Priority Guidance Plan. The submission includes the following items:
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Guidance confirming that data center construction-phase assets (i.e., deposits, prepayments, and construction-in-progress) are qualifying assets under the 75-percent asset test of Section 856(c)(4)(A)
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Withdrawal of IRS guidance that treats REIT liquidating distributions as capital gain dividends subject to the Foreign Investment in Real Property Tax Act for foreign shareholders, while treating the same distributions as sales or exchanges of stock for shareholders in the United States
- Establishment of a workable standard for on-site energy generation by REITs, including data center REITs
For more information, see Nareit’s submission here.

Section 892 proposed regulations address applicability dates and transition rules
On June 1, 2026, the US Department of the Treasury and the IRS published new proposed regulations under Section 892 (2026 Proposed Regulations), which withdraw and revise only the applicability-date provisions of the December 2025 proposed regulations.
The 2026 Proposed Regulations provide a 90-day transition period beginning upon publication of the final regulations. Debt acquired before the end of the transition period – or acquired pursuant to binding commitments entered into before that date – will continue to be governed by the existing rules.
The regulations do not address whether grandfathering applies to debt deemed reissued after a significant modification under Treasury Regulation Section 1.1001-3.
For more information, see our client alert.
Contacts
To find out more about DLA Piper’s National REIT Tax practice, please contact:
Shiukay Hung
Partner
Co-Lead, National REIT Tax
Co-Lead, Canadian Pension Funds
In addition, please see our team snapshot and visit our REIT Tax Resource Center.


