+ All Categories
Home > Documents > 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls...

1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls...

Date post: 06-Oct-2020
Category:
Upload: others
View: 2 times
Download: 0 times
Share this document with a friend
64
Transcript
Page 1: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure
Page 2: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Page i © Copyright 2008, All Rights Reserved.

1031 Exchanges

The Basics and Pitfalls

Seminar Topic: This material provides an in-depth examination

of the process and procedure in a 1031 Exchange including structuring the transaction as an exchange of one property for another of "like kind".

Since 1921, tax-deferred or “1031” exchanges have evolved from a simple but restrictive two-party swap to today’s highly strategic and sophisticated exchanges. Now possible for taxpayers large or small, 1031 exchanges can only be facilitated with the guidance and specialized services of a Qualified Intermediary, like LandAmerica 1031 Exchange Services.

This material is intended to be a guide for insurance issues in general. As always, if you have any specific question regarding the state of the law in any particular jurisdiction, we recommend that you seek legal guidance relating to your particular fact situation.

The course materials will provide the attendee with the knowledge and tools necessary to identify the current legal trends with respect to these issues. The course materials are designed to provide the attendee with current law, impending issues and future trends that can be applied in practical situations.

Page 3: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Page ii © Copyright 2008, All Rights Reserved.

Copyright © 2008 Printed in the United States of America. All rights reserved. No part of this

monograph may be reproduced or transmitted in any form or by any means, electronic or mechanical, including photocopying, recording, or by any information storage and retrieval system, except for citation within legal documents filed with a tribunal, without permission in writing from the publisher.

Disclaimer: The views expressed herein are not a legal opinion. Every fact situation is different and the reader is encouraged to seek legal advice for their particular situation.

The Apex Jurist, www.ApexJurst.com is Published by ApexCLE, Inc.

www.ApexCLE.com

Ordering Information: Copies of this monograph may be ordered direct from the publisher for $24.95

plus $4.25 shipping and handling. Please enclose your check or money order and shipping information. For educational, government or multiple copy pricing, please contact the publisher.

Library of Congress Cataloging-in-Publication Data

ApexCLE, Inc.

Professionalism in Illinois

1. ApexCLE, Inc. 2. Law-United States – Guide-books. 3. Real Estate. 4. Investment.

500 North Michigan Avenue, Suite 300 Chicago, Illinois 60611 Toll Free 8666572004

920 South Spring Street Springfield, Illinois 62704

Toll Free 8666572004

Page 4: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Page iii © Copyright 2008, All Rights Reserved.

Author’s Email Address: [email protected]

Author’s Website: www.Landam.com

Author’s Mailing Address: 10 S. LaSalle St. Chicago, IL 60603

Author’s Phone Number: (312) 899-1031

About The Author Noel Hara is Vice President and Manager of LandAmerica 1031 Exchange

Services. His current responsibilities include management of the sales and production of 1031 Tax-Deferred Exchange qualified intermediary services within the Midwest states. Noel was hired by LandAmerica’s Houston, TX office in May of 2004 to open the Southwest regional offices of LandAmerica 1031 and then relocated to Chicago in March of 2006 to do the same in the Midwest.

Noel has been a featured speaker and MCE/MCLE/CPE educator for DePaul University, multiple real estate associations, The Illinois CPA Society and the CCIM. Additionally, he regularly teaches these courses in-house to law firms. His accomplishments have been published in The Houston Business Journal, Houston Realtor and Houston InTown. Noel has written articles published in UrbanLand Magazine, The Illinois Real Estate Journal, Midwest Real Estate News, Texas Real Estate Business and RedNews. Additionally, Noel is an active member of The Urban Land Institute where he sits on the National Membership Committee.

Noel began his real estate career with a Chicago-based condominium developer in 1999. Upon being promoted to sales manager, he moved to Houston, TX and resided there from 2000 to 2006. Noel currently holds active real estate brokers licenses in Illinois and Texas and is a graduate of Illinois State University

Page 5: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Page iv © Copyright 2008, All Rights Reserved.

1031 Exhanges: The Basics and Pitfalls By Noel Hara

Table of Contents

Introduction ..................................................................................................... 1 The Basic Process ........................................................................................ 1 For Your Reference ..................................................................................... 2 From the IRS Website: ................................................................................ 2

Appendix 1 ....................................................................................................... 3 Title 26, Subtitle A, Chapter 1, Subchapter, O, Part III, Section 1031 ......... 3

Page 6: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Page 1 © Copyright 2008, All Rights Reserved.

Introduction

The Internal Revenue Code imposes taxes when property is sold or

transferred and a gain is realized. According to Section 1031 of the tax code, if a taxpayer adheres to strict code guidelines, then all or a portion of the gains from the disposition of business or investment property can be deferred or reinvested into a new replacement property. These deferred gains, as well as the gains from the new property, are not taxed until the new property is transferred and fails to qualify for tax deferral.

To qualify for tax deferment, the taxpayer must structure the transaction as an exchange of one property for another of "like kind". Since 1921, tax-deferred or “1031” exchanges have evolved from a simple but restrictive two-party swap to today’s highly strategic and sophisticated exchanges. Now possible for taxpayers large or small, 1031 exchanges can only be facilitated with the guidance and specialized services of a Qualified Intermediary, like LandAmerica 1031 Exchange Services.

LandAmerica established its 1031 Exchange Services Division in 1990 solely to facilitate tax-deferred exchanges. To ensure our best possible service to the taxpayer, LandAmerica offices that specialize in 1031 Exchange Services have passed a LandAmerica certification standard. To find a LandAmerica 1031 Exchange Services office, please use this Locate a 1031 Exchange Office link, or the link at the right.

The Basic Process

A 1031 exchange, also known as a tax deferred exchange is a strategy and method for selling one property, and buying another property within a specific time frame.

The process of selling one property and then buying another property are the same as a typical real estate transaction. The 1031 exchange is the key to the tax savings by deferring income.

Page 7: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Page 2 © Copyright 2008, All Rights Reserved.

For Your Reference

IRS:

http://www.irs.gov/businesses/small/industries/article/0,,id=98491,00.html

Cornell:

http://www.law.cornell.edu/uscode/26/usc_sec_26_00001031----000-.html

From the IRS Website:

Like-Kind Exchanges - Real Estate Tax Tips

Generally, if you exchange business or investment property solely for business or investment property of a like-kind, no gain or loss is recognized under Internal Revenue Code Section 1031. If, as part of the exchange, you also receive other (not like-kind) property or money, gain is recognized to the extent of the other property and money received, but a loss is not recognized.

Section 1031 does not apply to exchanges of inventory, stocks, bonds, notes, other securities or evidence of indebtedness, or certain other assets.

Like-Kind Property

Properties are of like-kind, if they are of the same nature or character, even if they differ in grade or quality. Personal properties of a like class are like-kind properties. However, livestock of different sexes are not like-kind properties. Also, personal property used predominantly in the United States and personal property used predominantly outside the United States are not like-kind properties.

Real properties generally are of like-kind, regardless of whether the properties are improved or unimproved. However, real property in the United States and real property outside the United States are not like-kind properties.

Page 8: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Page 3 © Copyright 2008, All Rights Reserved.

Appendix 1

Title 26, Subtitle A, Chapter 1, Subchapter, O, Part III, Section 1031

(a) Nonrecognition of gain or loss from exchanges solely in kind

(1) In general

No gain or loss shall be recognized on the exchange of property held for productive use in a trade or business or for investment if such property is exchanged solely for property of like kind which is to be held either for productive use in a trade or business or for investment.

(2) Exception

This subsection shall not apply to any exchange of—

(A) stock in trade or other property held primarily for sale,

(B) stocks, bonds, or notes,

(C) other securities or evidences of indebtedness or interest,

(D) interests in a partnership,

(E) certificates of trust or beneficial interests, or

(F) choses in action.

For purposes of this section, an interest in a partnership which has in effect a valid election under section 761 (a) to be excluded from the application of all of subchapter K shall be treated as an interest in each of the assets of such partnership and not as an interest in a partnership.

(3) Requirement that property be identified and that exchange be completed not more than 180 days after transfer of exchanged property

For purposes of this subsection, any property received by the taxpayer shall be treated as property which is not like-kind property if—

(A) such property is not identified as property to be received in the exchange on or before the day which is 45 days after the date on which the taxpayer transfers the property relinquished in the exchange, or

(B) such property is received after the earlier of—

Page 9: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Page 4 © Copyright 2008, All Rights Reserved.

(i) the day which is 180 days after the date on which the taxpayer transfers the property relinquished in the exchange, or

(ii) the due date (determined with regard to extension) for the transferor’s return of the tax imposed by this chapter for the taxable year in which the transfer of the relinquished property occurs.

(b) Gain from exchanges not solely in kind

If an exchange would be within the provisions of subsection (a), of section 1035(a), of section 1036(a), or of section 1037(a), if it were not for the fact that the property received in exchange consists not only of property permitted by such provisions to be received without the recognition of gain, but also of other property or money, then the gain, if any, to the recipient shall be recognized, but in an amount not in excess of the sum of such money and the fair market value of such other property.

(c) Loss from exchanges not solely in kind

If an exchange would be within the provisions of subsection (a), of section 1035(a), of section 1036(a), or of section 1037(a), if it were not for the fact that the property received in exchange consists not only of property permitted by such provisions to be received without the recognition of gain or loss, but also of other property or money, then no loss from the exchange shall be recognized.

(d) Basis

If property was acquired on an exchange described in this section, section 1035 (a), section 1036(a), or section 1037 (a), then the basis shall be the same as that of the property exchanged, decreased in the amount of any money received by the taxpayer and increased in the amount of gain or decreased in the amount of loss to the taxpayer that was recognized on such exchange. If the property so acquired consisted in part of the type of property permitted by this section, section 1035 (a), section 1036(a), or section 1037 (a), to be received without the recognition of gain or loss, and in part of other property, the basis provided in this subsection shall be allocated between the properties (other than money) received, and for the purpose of the allocation there shall be assigned to such other property an amount equivalent to its fair market value at the date of the exchange. For purposes of this section, section 1035 (a), and section 1036 (a), where as part of the consideration to the taxpayer another party to the exchange assumed (as determined under section 357 (d)) a liability of the taxpayer, such assumption shall be considered as money received by the taxpayer on the exchange.

Page 10: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Page 5 © Copyright 2008, All Rights Reserved.

(e) Exchanges of livestock of different sexes

For purposes of this section, livestock of different sexes are not property of a like kind.

(f) Special rules for exchanges between related persons

(1) In general

If—

(A) a taxpayer exchanges property with a related person,

(B) there is nonrecognition of gain or loss to the taxpayer under this section with respect to the exchange of such property (determined without regard to this subsection), and

(C) before the date 2 years after the date of the last transfer which was part of such exchange—

(i) the related person disposes of such property, or

(ii) the taxpayer disposes of the property received in the exchange from the related person which was of like kind to the property transferred by the taxpayer,

there shall be no nonrecognition of gain or loss under this section to the taxpayer with respect to such exchange; except that any gain or loss recognized by the taxpayer by reason of this subsection shall be taken into account as of the date on which the disposition referred to in subparagraph (C) occurs.

(2) Certain dispositions not taken into account

For purposes of paragraph (1)(C), there shall not be taken into account any disposition—

(A) after the earlier of the death of the taxpayer or the death of the related person,

(B) in a compulsory or involuntary conversion (within the meaning of section 1033) if the exchange occurred before the threat or imminence of such conversion, or

(C) with respect to which it is established to the satisfaction of the Secretary that neither the exchange nor such disposition had as one of its principal purposes the avoidance of Federal income tax.

(3) Related person

Page 11: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Page 6 © Copyright 2008, All Rights Reserved.

For purposes of this subsection, the term “related person” means any person bearing a relationship to the taxpayer described in section 267 (b) or 707 (b)(1).

(4) Treatment of certain transactions

This section shall not apply to any exchange which is part of a transaction (or series of transactions) structured to avoid the purposes of this subsection.

(g) Special rule where substantial diminution of risk

(1) In general

If paragraph (2) applies to any property for any period, the running of the period set forth in subsection (f)(1)(C) with respect to such property shall be suspended during such period.

(2) Property to which subsection applies

This paragraph shall apply to any property for any period during which the holder’s risk of loss with respect to the property is substantially diminished by—

(A) the holding of a put with respect to such property,

(B) the holding by another person of a right to acquire such property, or

(C) a short sale or any other transaction.

(h) Special rules for foreign real and personal property

For purposes of this section—

(1) Real property

Real property located in the United States and real property located outside the United States are not property of a like kind.

(2) Personal property

(A) In general

Personal property used predominantly within the United States and personal property used predominantly outside the United States are not property of a like kind.

(B) Predominant use

Except as provided in subparagraphs (C) and (D), the predominant use of any property shall be determined based on—

(i) in the case of the property relinquished in the exchange, the 2-year period ending on the date of such relinquishment, and

Page 12: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Page 7 © Copyright 2008, All Rights Reserved.

(ii) in the case of the property acquired in the exchange, the 2-year period beginning on the date of such acquisition.

(C) Property held for less than 2 years

Except in the case of an exchange which is part of a transaction (or series of transactions) structured to avoid the purposes of this subsection—

(i) only the periods the property was held by the person relinquishing the property (or any related person) shall be taken into account under subparagraph (B)(i), and

(ii) only the periods the property was held by the person acquiring the property (or any related person) shall be taken into account under subparagraph (B)(ii).

(D) Special rule for certain property

Property described in any subparagraph of section 168 (g)(4) shall be treated as used predominantly in the United States.

Page 13: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Page 14: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

1031 Exchanges

The Basics…

The Pitfalls

Page 15: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

The Basics:What?

Since 1921, there has been an exception in the tax Code that Capital Gain Tax is deferred when investment property is “exchanged” as opposed to “sold.” The policy behind Section 1031 is that Taxpayers should be able to dispose of investment or income property and acquire replacement investment or income property without incurring a large cost of sale – the Capital Gain Tax. This exception has changed very little since 1921.

Page 16: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

What “Tax” is Deferred by 1031?

+

Two Components:

1. Tax due on the profit earned on the sale of investment or

income property; generally, the rate is 15%. The profit earned

is the appreciation in value of the property and is determined

by gross sales price minus the adjusted basis and the cost of

sale.

2. Tax due on the recapture of depreciation previously taken by

Taxpayer during the time Taxpayer owned the property;

generally the rate is 25%.

Page 17: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Original Purchase Price $300,000

Original Purchase Price

Calculating Capital Gain

Step One: Calculate Adjusted Basis

Step Two: Calculate Capital Gain

Minus Cost of Sale 10,000

Capital

Gain

Equals Capital Gain 240,000

Minus Adjusted Basis 200,000

Minus Depreciation 150,000

Depreciation Recapture

Equals Adjusted Basis

200,000

Adjusted Basis

Add Capital Improvements 50,000

Capital Improvements

Fair Market Value

FMV or Sales Price $450,000

Page 18: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Federal Tax TreatmentStep Three:

Calculating Capital Gain Taxes

Total Capital Gain $240,000 – with

Depreciation Recapture of $150,000.

25%Recaptured Depreciation Tax Rate = 25%

$150,000 x 25% $37,500

15%

+ Appreciation Gain Tax Rate = 15%

$90,000 x 15%

$13,500

TAXES

Total Taxes Due $51,000

Under Section 1031 treatment, Capital Gain

Taxes are deferred and are not due when

property is exchanged.

Page 19: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Who Can Take Advantage of 1031’s?

Any tax paying entity is entitled to the benefits

of Section 1031:

Corporations

Partnerships

Individuals

Limited Liability Companies

Trusts

Foreigners who own property in the U.S.

Page 20: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

“Why” an Exchange is done is as

important as “How” to do one . . .

Page 21: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

“Exchanging” is a tool to help Taxpayers

achieve their goals and/or solve

problems.”

Page 22: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Why Exchange?

– Improve investment performance

– Change property types

– Consolidate (many properties into few)

– Diversify (few properties into many)

– Life transition

– Relocate

– Change tenants

– Change management

– Defer maintenance

Page 23: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

There Are Four (4) Basic

Requirements Under Section 1031

Page 24: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

First Requirement:

1. A 1031 Transaction must involve a

transfer of Real or Personal Property

Page 25: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Qualifying Real Property

Apartments

Shopping centers

Medical facilities

Warehouses

Terminal properties

Factories

Hotels

Casinos

Vacant land

Oil, gas, mineral, water rights

Leases

Farm Land

Page 26: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Qualifying Personal Property

Airplanes

Boats

Tractors

Trailers

Licenses

Copyrights

Equipment

Page 27: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Property Excluded from 1031 Treatment

Stocks, bonds or notes

Other securities or evidences of indebtedness or interest

Interests in a Partnership

Certificates of trust or beneficial interest

Primary residences

Good Will

Inventory / Property held primarily for resale

Page 28: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Second Requirement:

2. That property must be held for a Qualified Purpose,

either as an investment, or used in a trade or business

1. A 1031 Transaction must involve a transfer of Real or

Personal Property; and

Page 29: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

The Property Must be Held for a

“Qualified Purpose”

Purpose For Holding Is NOT Based on Length of Time.

The Code specifically states that property must be held by the

Taxpayer, for either…1) Productive use in a trade or business; or,

2) Investment to qualify for Exchange consideration.

Purpose for holding is:

• Fact Sensitive

• Determined at the time of exchange

• Applies to Both Properties

Page 30: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Third Requirement:

2. That property must be held for a Qualified Purpose,

either as an investment, or used in a trade or business

1. A 1031 Transaction must involve a transfer of Real or

Personal Property; and

3. The Relinquished Property must be Like-Kind with the

Replacement Property

OK

Page 31: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Real property exchanges

SFR RentalSFR Rental

Multi-family

Office

Retail

Industrial

Hospitality

Medical Care

Land

SFR Rental

Office

Retail

Industrial

Hospitality

Medical Care

Land

Multi-family

Page 32: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Real property exchanges

Medical Care

SFR Rental

Office

Retail

Industrial

Hospitality

Land

Multi-family

SFR Rental

Multi-family

Office

Retail

Industrial

Hospitality

Medical Care

Land

Page 33: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Non Like-Kind

Money, cash or cash equivalents

Personal Property for Real Property

Inventory: “Property held primarily for sale”

Page 34: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Fourth Requirement:1. A 1031 Transaction must involve a transfer of Real or

Personal Property; and

2. That property must be held for a Qualified Purpose,

either as an investment, or used in a trade or business

3. The Relinquished Property must be Like-Kind with the

Replacement Property

4. The transaction must be an Exchange as distinguished from a

sale with a new purchase

Page 35: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Compare a Sale and Purchase vs. an Exchange

The essence of an Exchange is the transfer of property for

property. The Exchange is what distinguishes a Section

1031 tax-deferred transaction from a Sale and Purchase.

The essence of a Sale and Purchase of real estate is the

receipt of cash for property.

Page 36: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

How do you restructure a

sale into an exchange?

Page 37: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Qualified Intermediary’s Role…

To structure your exchange with proper

documentation

Page 38: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Escrow versus Qualified IntermediaryDifferent Roles in Real Estate Transactions

What is a QI?

No certification or licensing requirement.

“Defined” in the Regulations as Safe Harbor number 3.

No requirement that accommodator be “Qualified Intermediary”.

Elements to achieve QI status:

1. Written agreement that contains (g)(6) language,

2. QI must acquire relinquished property from Taxpayer and transfer to Buyer,

3. Control sales proceeds from Relinquished Property,

4. Acquire like-kind replacement property from Seller and transfer to

Taxpayer.

Safe Harbor eliminates “agency” designation and constructive receipt issues.

Page 39: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Qualified Intermediary

QI

Page 40: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Escrow versus Qualified Intermediary

A Qualified Intermediary is not…

Escrow Agent

QI should not hold funds before an exchange begins.

Investment Banker

Attorney

CPA / Tax Advisor

Page 41: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Escrow Agent Roles

a.k.a., “Closing Agent”

1. Written Escrow Agreement

2. Prepares Closing Statement

3. Collects Documents

4. Responsible for Certificate of Non-Foreign Status

Affidavit (FIRPTA)

5. Responsible for 1099-S Reporting

6. Disburses Funds and Documents According to Written

Instructions or Escrow Agreement

Page 42: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Most Common Exchange“Straight-Deferred” or “Forward” Exchange

CBuyer of your

property

Q IB

Seller of

replacement

property

A

You the

Taxpayer

Page 43: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

A

A

C Q I B

Page 44: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

A

A

CQ I

B

B

Page 45: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

What do you need for a valid exchange?

Proper exchange documents!

Proves INTENT

Prevents CONSTRUCTIVE RECEIPT

Provides ACCOMMODATING PARTY

Page 46: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Types of Exchanges

Deferred (aka Delayed)

Simultaneous

Construction (aka To-Be-Built)

Reverse

Reverse Construction

Non-Safe Harbor Reverse

Personal Property

Page 47: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

…The Basics, and now

The Pitfalls…

Page 48: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Pitfall: Control of Proceeds

Q IC B

A

A B

Not “Like Kind”

Page 49: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Pitfall: Settlement Statements

Improperly Done

“Cash due Seller”

Page 50: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Potential Pitfall: Time Frame 1

The 45-Day Property Identification Period

A

C

A

Q I 45 days to

identify

Page 51: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Identification Rules

before midnight of the 45th day

1. In writing

2. Unambiguous

3. Signed by taxpayer

4. Sent

Page 52: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Identification Rules

alternate and multiple properties

1. 3 property rule

2. 200% rule

3. 95% exception

Page 53: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

A

A

C Q I B

B

180 days to

complete exchange

Potential Pitfall: Time Frame 2

The 180-Day Exchange Completion Deadline

Page 54: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Pitfall: Related Parties

two-party swap

24 month holding period

A

A B

B

Page 55: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Pitfall: Related Party Exchanges

New

Buyer BA

B

B

A

A New

Buyer

If less than 24 months…

Page 56: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Major Pitfall: Acquiring Replacement Property From A Related Party

Q I

A

BC

A B

What does B hold?

Third Party

Buyer

Page 57: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

New Revenue Ruling 2002-83

General Rule: Taxpayer cannot acquire

replacement property from a related party.

Many Exchange Agreement reflects this prohibition.

[… Taxpayer’s Representations. Taxpayer hereby

represents to QI as follows…

(b) Taxpayer will not purchase any Replacement Property

from a related person as such term is defined in Section

1031(f)(3) of the Code.]

Revised Form 8824 requires more than “check-the-box.”

Page 58: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Potential Pitfall:

Change of Entity

Entity must not changeB

New property as

ABC PartnershipB

A

Old property as

ABC Partnership

Page 59: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Same Taxpayer Rule

1. Husband & Wife are TWO Taxpayers

2. Disregarded or Pass-through entity

3 . Single member LLC means ONE member*

*except in a community property state if LLC members

are Husband and Wife who reside in the community

property state, and the 1031 property is located in a

community property state( Rev. Ruling 2002-69)

Page 60: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Examples of Disregarded Entities:

• Grantor Trust (which is not a Testamentary Trust)

• Single member limited liability company

-However, Sub S Corp is not a disregarded entity

&

-A general or limited partnership is not a disregarded entity.

Page 61: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Pitfall: Failure to Trade Up or Trade Even

Two (2) Rules:

1. Equal or Increased Sales Price.

2. All Cash or Equity Applied to Acquisition.

Page 62: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Pitfalls: Failure to Trade Up or Trade Even

Or… A Reason Not to Add a Party to the Deed

A Taxpayer (Husband) desires to take advantage of the

1031 Exchange process. The gross sales price of the

Relinquished Property is $200,000.00

The acquired Replacement Property must have a gross

sales price equal to or greater than $200,000.00, and all the

cash or equity from the sale of the Relinquished Property

must be applied toward the acquisition of the Replacement

Property.

Page 63: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Potential Pitfall:

Taxpayer has scheduled back-to-back

closings for the relinquished property

and the replacement property, but the

relinquished property buyer is

backing out.

Page 64: 1031 Exchanges - MCLEZ Continuing Legal Education€¦ · 1031 Exchanges The Basics and Pitfalls Seminar Topic: This material provides an in-depth examination of the process and procedure

Copyright © 2006 LandAmerica Financial Group, Inc. All Rights Reserved

Noel M. Hara

Vice President

(312) 899-1031

[email protected]


Recommended