There are two choices: the master lease option or the capital cycle option. In the master lease option, the existing landowner entity master leases the dirt to a QOF or QOZB, and the lessee constructs and owns all improvements. In this scenario, the dirt is not QOZBP, but the improvements are. In the capital cycle option, the existing landowner sells to a QOF or QOZB owned by an unrelated party, and then the existing landowner takes the capital gain proceeds and invests in the acquiring QOF or QOZB. The catch with this option is that the existing landowner has to own less than 20% of the equity in the QOF or QOZB to avoid invalidating the tax benefits under a substance-over-form or anti-abuse theory. The advantage, though, is that the dirt would be QOZBP in this scenario.