Exhibit 8.1
| | | | |
Morgan, Lewis & BockiusLLP 1111 Pennsylvania Avenue, NW Washington, DC 20004-2541 Tel. +1.202.373.6000 Fax: +1.202.373.6001 www.morganlewis.com | | | ![LOGO](https://capedge.com/proxy/S-3/0001193125-20-063305/g854165g0305064307601.jpg) | |
March 6, 2020
ProShare Capital Management LLC
Sponsor to ProShares Trust II
7501 Wisconsin Avenue, East Tower, 10th Floor
Bethesda, Maryland 20814
Re: | Publicly Traded Partnership Tax Opinion for the Funds in ProShares Trust II. |
Ladies and Gentlemen:
We have acted as your counsel in connection with the preparation and filing with the Securities and Exchange Commission (the “Commission”) under the Securities Act of 1933, as amended (the “Securities Act”), of the registration statements on FormsS-1 andS-3 (Registration Nos. 333-[230150] and 333-[230151]) initially filed with the Commission on March 8, 2019, as amended on March 6, 2020, including any amendments thereto, the prospectuses contained therein (“Prospectuses”) and all documents incorporated and deemed to be incorporated by reference therein (each, a “Registration Statement”), of ProShares VIXMid-Term Futures ETF (VIXM), ProShares Ultra Bloomberg Natural Gas (BOIL), ProShares UltraShort Bloomberg Natural Gas (KOLD), ProShares UltraShort Silver (ZSL), ProShares UltraShort Gold (GLL), ProShares UltraShort Australian Dollar (CROC), ProShares Ultra Euro (ULE), ProShares Short Euro (EUFX), ProShares Ultra Yen (YCL), ProShares UltraShort Yen (YCS), ProShares UltraPro 3x Crude Oil ETF (OILU), ProShares UltraPro 3x Short Crude Oil ETF (OILD), ProShares Ultra Bloomberg Crude Oil (UCO), ProShares UltraShort Bloomberg Crude Oil (SCO), ProShares Ultra Gold (UGL), ProShares Ultra Silver (AGQ), ProShares UltraShort Euro (EUO), ProShares VIX Short-Term Futures ETF (VIXY), ProShares Ultra VIX Short-Term Futures ETF (UVXY), and ProShares Short VIX Short-Term Futures ETF (SVXY) (each, a “Fund” and collectively, the “Funds”), each a series of the ProShares Trust II (the “Trust”), a Delaware statutory trust organized on October 9, 2007.
We have reviewed such documents, questions of law and fact and other matters as we have deemed pertinent for the purpose of this opinion. Based upon the foregoing, we hereby confirm our opinion contained under the heading “Material U.S. Federal Income Tax Considerations” in the Prospectuses that each Fund will be classified as a partnership for U.S. federal income tax purposes.