Welcome! Section 1031 Exchanges. Innovative Strategies and Issues. Presented by Don Munford Smith Anderson

Similar documents
Section 1031 Tax Deferred Exchanges. A Guide to the Best Strategy for Real Estate Investment

U.S. INTERNAL REVENUE CODE SECTION 1031 TAX DEFERRED LIKE KIND EXCHANGES. This outline has been modified to reflect the recent changes in the tax law.

5/4/2016. Common Terms. Disadvantages of Exchanging. Advantages of Exchanging. Impact of Recent Tax Legislation Like-Kind Exchanges

Section 1031 Exchanges under the United States Internal Revenue Code (26 U.S.C. 1031)

1031 Tax Deferred Real Estate Transactions & Reverse 1031 Transactions

Teresa Person, CES Course No Provider No. 0001

ABOUT CASCADE EXCHANGE SERVICES, INC. (CES):

1031 Exchange Topics. Reference Guide to 1031 Exchanges Exchange Solutions Nationwide. Investment Property Exchange Services, Inc.

Internal Revenue Service

Internal Revenue Service

Tax Traps in Oil and Gas Like-Kind Exchange Transactions. Todd Way Vinson & Elkins LLP Dallas, Texas. Julia Pashin Vinson & Elkins LLP Dallas, Texas

SECTION 1031 LIKE-KIND EXCHANGES A CLOSER LOOK FOR REAL ESTATE AGENTS

IRC Section 1031 Exchange: A Powerful Financial Tool For The Agricultural Family

EVERYTHING YOU EVER WANTED TO KNOW ABOUT 1031 EXCHANGES AND THE TAX-SAVING OPPORTUNITIES

PENNSYLVANIA DEPARTMENT OF REVENUE

Like-Kind Exchanges In The Energy Industry. Todd D. Keator Thompson & Knight LLP

Internal Revenue Service

James R. Browne Dallas TX Real Estate Sales and Exchanges

STATE OF NEW YORK COMMISSIONER OF TAXATION AND FINANCE

ABA: Safe Harbor Parking Like-Kind Exchanges

1031 Exchanges. by G. Scott Haislet

Copyright 2017 Bank1031.com Bank 1031 Services

Who is Asset Preservation, Inc.? Capital Gain, Estate & Other Tax Issues in 2012/ Exchange Trends in 2012/2013 Overview of Delayed Exchanges

1031 DROP AND SWAP: BREAKING UP IS HARD TO DO. By: Gary Kravitz, Esq. and Kevin Henry, Esq.

CHICAGO TITLE INSURANCE COMPANY

UPSTREAM OIL AND GAS LIKE-KIND EXCHANGE TRANSACTIONS AFTER TAX REFORM

1031 Tax Deferred Exchanges Brown Bag on October 18, 2013

1031 Exchanges: What Realtors Need to Know. Student Handouts

Identify property that qualifies for IRC 1031 exchanges Calculate basis of property acquired in a like kind exchange Understand how boot can cause

CARL PIKUS VP Main Austin/San Antonio Dallas

Building for the Future

HOT LIKE-KIND EXCHANGE ISSUES. Robert D. Schachat, EY February 5, 2016

Section 1031 Exchanges Involving Real Property. Overview

1031 Exchange Topics. Reference Guide to 1031 Exchanges Exchange Solutions Nationwide. Investment Property Exchange Services, Inc.

Conducting Aircraft Tax Free Exchanges

A Tale of Two Transactions

UPDATE ON THE USE OF SEC AND SEC LIKE KIND EXCHANGES IN AGRICULTURE

1031 Exchanges: Benefits to Timberland and Forest Landowners

William J. Gessner, Esq.

Structuring 1031 Like-Kind Exchanges for Real Property

1031 Like-Kind Exchanges Advanced Topics, Updates, and Industry News

USING IRC SECTION 1031 TO CREATE AND PRESERVE WEALTH

Section 1031 for Professionals

TULSA ESTATE PLANNING FORUM

1031 EXCHANGE TOPICS

Sr. Vice President of Asset Preservation, Inc. (API) API has facilitated over 150,000 exchanges. 27 years of experience with 1031 exchanges

1031 Exchange Reporting Guide

1031 EXCHANGE TOPICS. Answers to Popular 1031 Exchange Questions Exchange Solutions Nationwide

1031 Exchanges. Seminar Topic: This material provides an in-depth examination. The Basics and Pitfalls

Unraveling the Mystery of the 1031 Exchange

1031 Tax Deferred Exchanges & International Investors

A Like Kind 1031 Exchange How to Guide for CPAs

Date: November 20, Refer Reply To: CC:IT&A:5 - PLR In Re: * * *

Day 1 November 10, 2015:

Planning Your Exit: Strategies for Real Estate Investors to Mitigate Capital Gains

& The Delaware Statutory Trust (DST) 1031 Tax Deferred Exchanges.

LIKE-KIND EXCHANGE OF BUSINESSES AND BUSINESS INTERESTS

Tax-Free Exchanges Under IRC 1031

LIKE KIND-EXCHANGE OF BUSINESS INTERESTS - IT'S NOT JUST ABOUT REAL ESTATE

1031 Exchanges: Benefits for Farmers and Ranchers

Like Kind Exchanges of Real Estate Under IRC 1031

STRUCTURING REAL ESTATE PARTNERSHIP/LLC DIVORCES

1031 Exchange Specialists, Inc (1031 ESI) 1155 Asbury Avenue Ocean City, New Jersey Toll Free: Fax:

Private Letter Ruling , 07/13/2007, IRC Sec(s). 1031

August 29, 2007 Webinar

1031 Exchange Principles

1031 Exchange: Advanced Strategies

IRS Approves Like-kind Exchange Program Participant's Replacement Property Substitution

Like-Kind Exchanges Under Section 1031

SECTION 1031 EXCHANGES

IRC 1031 Tax Deferred Exchange Exchanges. Whitney Brennan Vice President Southeast Region, IPX

Partnerships and 1031 exchanges: Available options - by Pamela Michaels. December 04, Front Section

LIKE-KIND EXCHANGES: A POPULAR OPTION FOR PROPERTY TRANSFERS *

Copyright 2015 INVESTORS 1031 All Rights Reserved

SOLID INVESTMENT AND FINANCIAL STRATEGIES. For 2017 and Beyond

Page 1 IRC Section Jobs & Growth Tax Act. Exchange... Don't Sell. Page 4 Why Starker Services? It's Not a Secret Anymore

Like Kind Exchanges of Real Estate Under IRC 1031

Tax Management Memorandum

Partnership Like-Kind Exchanges

Section 1031 Tax Deferred Exchanges at TADA Wealth Advisors TADA. Wealth Advisors

MSCPA FEDERAL TAX COMMITTEE FEDERAL TAX FORUMS TAX ACCOUNTING BY LORRAINE A. TRAVERS

the FEE SIMPLE SECTION 1031 TAX-DEFERRED EXCHANGE REPLACEMENT PROPERTY PROGRAMS: A BRIEF HISTORY by Louis J. Rogers *

Realty Exchange Corporation

Real Estate advisor. What you need to know about partnership allocations. July August Ask the Advisor

1031 Like-Kind Exchange Checklist: 10 Issues to Consider

Nontaxable, Like-Kind Exchanges Under Internal Revenue Code Section 1031

Serving you Nationwide. Dorothy Zink, President. Toll Free: (866) Local: (714) Visit Us Online at:

Tax Deferred 1031 Real Property Exchanges

Tax Treatment of Monetized Installment Sale Transactions

A guide to estate settlement

Application for Change in Accounting Method OMB No

Checklist Item #1: Do you own real property that when sold results in a recognized gain or tax?

Compass Exchange Advisors LLC

Retail Exemptions Consultation Paper and Draft Exempt Selling Guideline. QCOSS Submission

THE LIKE KIND EXCHANGE: A CURRENT REVIEW

3/2/15 Real Estate Finance. Course Syllabus. Spring 2015 Don Weidner

Build and Maintain Your Wealth with Tax Deferral/Exclusion Strategies for Real Estate

1031 Exchange Overview

The 1031 Exchange Handbook

Selling a Farm or Ranch? What You Need to Know

Transcription:

Welcome! Section 1031 Exchanges Innovative Strategies and Issues Presented by Don Munford 2015 Smith Anderson

Section 1031 Exchanges Innovative Strategies and Issues Reminder Today s PowerPoint presentation and recording is available on www.smithlaw.com/webinars For previous Smith Anderson webinar recordings, please visit www.smithlaw.com/webinars Section 1031 Exchanges 2

Various Names for Exchange Transactions 1031 Exchange Like-Kind Exchange Tax-Deferred Exchange Tax-Free Exchange Broad Range of Options Never Tax-Free Section 1031 Exchanges 3

Advantages of 1031 Exchanges: Disadvantages of 1031 Exchanges: Immediate Deferment of Taxes Long-term Deferment of Taxes Estate Planning (Basis step-up) Additional Transaction Costs Time Restrictions Restricted Access to Sales Proceeds Risk of Disallowed 1031 Exchange Section 1031 Exchanges 4

1031 Exchange Properties: Held for investment (not sale) Undeveloped real property held for investment Buildings used for business or investment Personal Property used in a business Leases of more than 30 years Individuals, corporations, partnerships or limited liability companies Boot and assumption of debt Section 1031 Exchanges 5

Ineligible Properties: Stock in trade or property held primarily for sale Stocks, bonds or debt instruments Partnership or limited liability company interests Timber rights Beneficial interest in a trust Section 1031 Exchanges 6

Ineligible Properties (con t) Vacation homes not held for investment Personal residence Time-share interests Chose in action (Interest in a lawsuit) Section 1031 Exchanges 7

Requirements of 1031 Exchange Exchange of Eligible Properties Related Parties Face Limitations Held for Investment Examples: Raw land Improved Property Tenancy in Common Fee Simple One Tract Two Tracts 30 Year Lease Fee Simple Section 1031 Exchanges 8

Common Variations of 1031 Exchanges: Two Party Simultaneous Closing Exchanges Three Party Simultaneous Closing Exchanges Simultaneous Exchanges with a Qualified Intermediary Non-Simultaneous Exchanges with a Qualified Intermediary Reverse 1031 Exchanges Section 1031 Exchanges 9

Non-Simultaneous 1031 Exchanges: Use a Qualified Intermediate Time Limits: 45 Day Identification Period 180 Day Exchange Period Constructive Receipt issues No extensions of time Direct deeding Section 1031 Exchanges 10

Using Multiple Replacement Properties Up to three Replacement Properties Can identify multiple properties with a Fair Market Value of up to 200% of the Fair Market Value of Relinquished Property 95% Rule Section 1031 Exchanges 11

Build-to-Suit 1031 Exchanges Taxpayer wants to use sales proceeds to construct improvements on land If taxpayer takes title to the unimproved land, then IRS considers the cost of improvements to be construction services Does not qualify as a 1031 Exchange Section 1031 Exchanges 12

Strategies for Build-to-Suit Exchanges All rules under Section 1031 apply Third-party must hold title to the Replacement Property during the construction Third-party conveys title to taxpayer once construction is finished The Seller of the Replacement Property, the Builder or a Qualified Intermediary can hold title Qualified Intermediary is most common and generally safest choice Section 1031 Exchanges 13

Typical Build-to-Suit Transaction Taxpayer enters into a Like-Kind Exchange Agreement with the Qualified Intermediary Qualified Exchange Accommodation Agreement with the Exchange Accommodation Titleholder ( EAT ) Taxpayer loans funds to the EAT or guarantees construction loan on behalf of the EAT EAT acquires title to the Replacement Property Section 1031 Exchanges 14

Typical Build-to-Suit Transaction (con t) Single-member limited liability company EAT appoints taxpayer to be the General Contractor to manage the construction of improvements on the Replacement Property The Qualified Intermediary purchases the Replacement Property from the EAT using the sales proceeds from the Relinquished Property Section 1031 Exchanges 15

Typical Build-to-Suit Transaction (con t) Qualified Intermediary directs the EAT to transfer the Replacement Property to the taxpayer EAT uses the proceeds paid by the Qualified Intermediary to pay the Construction Manager for the costs and services and to pay back loan from, or guaranteed by, the taxpayer Section 1031 Exchanges 16

Concerns with Build-to-Suit 1031 Exchanges If Benefits of Ownership are deemed to have been held by the EAT If the Accommodation Relationship is deemed to be an Agency Relationship Step-Transaction Doctrine Rev. Proc. 2000-37, amended by Rev. Proc. 2004-51 Valid parking arrangement Benefits and burdens of ownership versus title Section 1031 Exchanges 17

Held for Investment Requirement No IRS definition, little authority How long must property be held? Property acquired immediately before it is relinquished is considered held for sale not held for investment Intent to hold for investment is important Proving intent to hold for investment can be difficult Recommended: 12 months or more Section 1031 Exchanges 18

Property Held in a Partnership or LLC Entity can enter into 1031 Exchange What if one or more partners or members do not want a 1031 Exchange? Entity may distribute undivided Tenant-in- Common Interests in property to owners Each owner can decide how to proceed Section 1031 Exchanges 19

Property Held in a Partnership or LLC (con t) Can owners tack onto the time that the property was held by the entity for Held for Investment requirement? What if property is relinquished immediately after distribution to owners? Intent to hold for investment or hold for sale No clear guidance by IRS Section 1031 Exchanges 20

Property Held as Tenants-in-Common All owners can enter into a 1031 Exchange together Each owner can enter into his or her own 1031 Exchange for his or her undivided ownership interest IRS can deem Co-Tenancy to be a Partnership Section 1031 Exchanges 21

Property Held as Tenants in Common (con t) No written partnership agreement needs to exist Reclassification results in the same issues and concerns as with a formal Partnership or LLC Section 1031 Exchanges 22

Factors in Reclassification Co-tenancy Agreement Buy-Sell Agreements Puts or calls Options to purchase co-owner s interest Restrictions on transfers Co-tenants cannot be required to purchase from or sell to each other Written or unwritten Section 1031 Exchanges 23

Summary 1031 Exchanges can be more complicated than taxpayers simply swapping properties Type of property is important Holding period is important Intent can be important IRS requirements must be met or the transaction will fail Risk of owing taxes but sales proceeds invested in illiquid Replacement Property Difficult to eliminate all risks Section 1031 Exchanges 24

Thank you for attending today s Tax Law webinar Don t forget Today s PowerPoint presentation and recording is available on www.smithlaw.com/webinars For previous Smith Anderson webinar recordings, please visit www.smithlaw.com/webinars Section 1031 Exchanges 25