Industrial Revenue Bonds
Industrial Revenue Bonds (IRB's) are financing instruments issued by
designated local industrial development boards (IDB's) or other issuers
authorized by state law. Since 1949, IRB's have been a preferred method of
financing used by industries locating to and expanding in Alabama. Often,
financial institutions and other intermediaries participate by providing
letters of credit backing the bonds. Thus, the company seeking the bonds
must be considered creditworthy by the financial institution.
IRB's provide financing for land, building and equipment for new and
expanding manufacturing plants. Certain expenses such as architectural,
engineering, legal and administrative fees associated with the sale of the
bonds can be paid from the bond proceeds (subject to the limitations of
Internal Revenue Service regulations).
The political subdivision issuing the IRB retains ownership of the
bond-financed facility and leases it back to the company at a rate
sufficient to pay the principal and interest on the bonds as they mature.
When the user leases the property back, there may be several tax advantages
such as exemption from sales tax on construction materials, use tax on the
purchase of equipment, as well as mortgage deed tax and ad valorem tax for a
term limited to ten years. Local sales and use taxes and all ad valorem
taxes which are levied for school purposes are not eligible for exemption.
Taxable IRB's will continue as one of the mainstays of industrial finance
because they may be issued with fewer restrictions and in unlimited amounts
while the user maintains tax savings. The company may buy its own bonds and
still be eligible for significant tax savings. Interest rates are generally
higher than on tax-exempt bonds.
Tax-exempt IRB's are issued at rates lower than conventional sources
because the interest paid on the bonds is exempt from both federal and state
income tax. No more than $10 million in bonds may be issued in a single
locality and no company can have more than $40 million outstanding.
Companies using an IRB may not invest more than $10 million in one location,
regardless of fund sources, for a period of three years prior to the issue
and three years after it. Companies may choose to lease all or part of their
equipment and therefore eliminate that portion from the $10 million limit.
IRB's are not generally cost-effective for amounts under $1 million because
of the fees involved in issuing a bond. To be eligible, the company must
obtain a letter of inducement from the local industrial development board
before any monies are expended on a project. In the case of tax-exempt
IRB's, the Internal Revenue Code requires that land acquisition cost must be
less than twenty-five percent (25%) of the total bond issue. If the bond
proceeds are used to finance the acquisition of an existing building, at
least fifteen percent (15%) of the proceeds must be spent on renovation of
the building within two years. Bond proceeds may not be used to purchase
used equipment except in limited situations. There are a number of other
requirements, including a public hearing and volume cap allocation.
SUMMARY
Long term financing. May finance 100% of project. Interest rate below
conventional rates (for tax-exempt bonds).
USE OF FUNDS
Land acquisition and building construction. Machinery and equipment.
Architectural and engineering fees. Cost of bond issuance.
SOURCES OF FUNDS
Banks, institutional investors.
MATURITY TERM
Negotiable, depending on project and lender.
LIMITS
Tax-exempt: $10 million. Taxable: no limit.
ELIGIBLE BUSINESSES
Manufacturing, distribution, warehousing, and corporate headquarters.
INELIGIBLE BUSINESSES
Refinancing and restructuring existing debt. Venture capital, working
capital.
SPECIAL CONDITIONS
Loan conditions may vary depending on lending institution.