ALI-ABA Course of Study Creative Tax Planning for Real Estate Transactions. October 11-13, 2007 Atlanta, Georgia

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819 ALI-ABA Course of Study Creative Tax Planning for Real Estate Transactions October 11-13, 007 Atlanta, Georgia Tax Planning for Conduit Loan Defeasance Transactions Including Like-Kind Exchanges By Blake D. Rubin Andrea M. Whiteway Jon G. Finkelstein McDermott Will & Emery LLP Washington, D.C. 006 Blake D. Rubin, Andrea Macintosh Whiteway, and Jon G. Finkelstein. All Rights Reserved.

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81 TAX PLANNING FOR CONDUIT LOAN DEFEASANCE TRANSACTIONS, INCLUDING LIKE-KIND EXCHANGES By Blake D. Rubin, Andrea Macintosh Whiteway and Jon G. Finkelstein McDermott Will & Emery LLP, Washington, D.C. August 1, 006 The defeasance of loans that have been included in pools of commercial mortgageback securities, also referred to as securitized or conduit loans (collectively Conduit Loans ), has become increasingly common over the last several years. According to a study conducted by Moody s Investors Service, as of December 31, 005, $9.7 billion of Conduit Loans have been defeased, which is an amount equal to 1.4% of outstanding Conduit Loans. 1 This article summarizes the basic mechanics of a defeasance transaction, and analyzes the Federal tax treatment of payments made by a Conduit Loan borrower in connection with a loan defeasance. In addition, this article examines various structures for accomplishing a defeasance in connection with a Code Sec. 1031 like-kind exchange of property encumbered by a Conduit Loan. Conduit Loans Generally Conduit Loans are generally pooled together in real estate mortgage investment conduits ( REMICS ) within the meaning of Code Sec. 860D. The REMIC issues bonds to investors and Copyright 006 Blake D. Rubin, Andrea Macintosh Whiteway and Jon G. Finkelstein. All rights reserved. 1 See Moody s Special Report, U.S. CMBS: Defeasance Benefits Borrowers and Investors, April 1, 005. Unless otherwise indicated or clear from context, section references are to the Internal Revenue Code of 1986, as amended (the Code ), or to the Treasury Regulations promulgated thereunder. 1

8 the returns on the bonds are tied to the mortgage payments on the underlying loans in the REMIC pool. Provided the REMIC qualifies as such under Code Sec. 860D, the REMIC is not taxable on payments it receives from the Conduit Loan borrowers. Rather, the bond investors are taxable on the payments they receive from the bonds issued by the REMIC. Investors in the bonds issued by a REMIC expect to earn a certain yield on their investments, based on fixed mortgage payments. As a result, Conduit Loans generally prohibit the borrower from prepaying the Conduit Loan because a prepayment on any of the underlying loans in the REMIC pool would affect the yield on the bonds issued by the REMIC and frustrate the bond investors expectations. In order to balance the bond investors yield requirements with the Conduit Loan borrowers need for flexibility, particularly when the real property securing a Conduit Loan is to be sold or refinanced, Conduit Loans often provide that they can be defeased. Defeasance generally means that the original real estate securing the Conduit Loan is released as collateral and new collateral is substituted that will generate cash flow that closely matches the timing and amounts of payments due under the Conduit Loan. The substitute collateral is intended to ensure that payments due under the Conduit Loan continue to be made on schedule, thereby allowing the REMIC to maintain the promised yield on its bonds. Defeasance Generally As noted above, defeasance involves the substitution of the collateral securing a Conduit Loan with new collateral that will generate sufficient cash flow to make the remaining payments due under the Conduit Loan. The REMIC rules limit the timing of a defeasance and the type of substitute collateral that can be used in connection with a defeasance. Code Sec. 860D(a)(4) defines a REMIC in

83 pertinent part as an entity substantially all of the assets of which consist of qualified mortgages and permitted investments as of the close of the third month beginning after the startup day and at all times thereafter. Code Sec. 860G(a)(3)(A) requires that an obligation be principally secured by an interest in real property to be considered a qualified mortgage. Reg. 1.860- (a)(8) provides that a mortgage ceases to be a qualified mortgage if a REMIC releases its lien on real property that secures it unless certain requirements are met, including (a) the mortgagor must pledge substitute collateral that consists solely of government securities (as defined in section (a)(16) of the Investment Company Act of 1940 as amended (15 U.S.C. 80a-1)), (b) the mortgage documents must allow such substitution; (iii) the lien must be released to facilitate the disposition of the property or any other customary commercial transaction, and not as part of an arrangement to collateralize a REMIC offering with obligations that are not real estate mortgages, and (c) the release must not be within two years of the startup day. In order to comply with the REMIC rules, Conduit Loans generally provide that a defeasance cannot occur until after an initial lock-out period of at least two years. In addition, Conduit Loans generally provide that the substitute collateral must consist of U.S. Government securities. In order to avoid recognizing income as a result of an early repayment of the loan, Conduit Loan lenders 3 must not be in constructive receipt of the defeasance collateral. Reg. 1.451-(a) provides that a taxpayer is in constructive receipt of income: in the taxable year during which it is credited to his account, set apart for him, or otherwise made available so that he may draw upon it at any time, or so that he may have drawn upon it during the taxable year if notice or intention to withdraw had been given. 3 The term Conduit Loan lender is used in this article to refer to both the original lender of a Conduit Loan and any successor lender, including a REMIC. 3