Sentences with phrase «1031 exchange transactions»

These are significantly more complicated 1031 Exchange transactions and should only be administered by a Qualified Intermediary that has significant experience and expertise with Improvement Exchanges.
It is important to consult with your legal and tax advisor to determine whether your property will satisfy the qualified use and like - kind tests, especially in the areas of personal property 1031 exchange transactions.
This is the most common structure or form for most 1031 exchange transactions today.
Therefore, the most important issue to evaluate is the technical ability, expertise and experience of the Qualified Intermediary's 1031 Exchange advisors because of the highly technical nature of 1031 Exchange transactions.
Build - To - Suit 1031 Exchange transactions are complex tax - deferred strategies.
These are significantly more complicated 1031 Exchange transactions and should only be administered by a Qualified Intermediary, such as Exeter 1031 Exchange Services, LLC that has significant experience and expertise with Build - To - Suit Exchanges.
Forward 1031 Exchange transactions can be structured to take advantage of the Construction 1031 Exchange strategy.
International 1031 Exchanges involve complex issues above and beyond the normal 1031 Exchange transactions due to significant differences in the international laws, regulations, business and cultural practices, and foreign languages.
Forward 1031 Exchange transactions can be structured to take advantage of the Improvement 1031 Exchange strategy.
This discussion of how exchange rules came to be and why revocation would provoke a negative outcome for the general economy, as well as the real estate investment community, helps investors understand the overarching, long - term benefits of 1031 exchange transactions.
November 21, 2005 — San Diego, California — Exeter 1031 Exchange Services, LLC was established today to serve as the Qualified Intermediary or Accommodator for real estate investors» 1031 exchange transactions
Reverse 1031 Exchanges that fall outside of this Revenue Procedure may still qualify and are referred to as non-safe-harbor Reverse 1031 Exchange transactions.
1031 Exchange transactions, especially Reverse 1031 Exchanges, are complex tax - deferred tax strategies.
Reverse 1031 Exchange transactions are much more complex than Forward 1031 Exchanges.
This article will provide you with a very brief and concise overview of Improvement 1031 Exchange transactions.
Improvement 1031 Exchange transactions are complex tax - deferred strategies.
These are significantly more complicated 1031 Exchange transactions and should only be administered by a Qualified Intermediary that has significant experience and expertise with Construction Exchanges.
As a Qualified Intermediary for 1031 Exchange transactions, one of the concerns that we often hear about from Investors when structuring 1031 Exchange transactions is the difficulty in locating, identifying and ultimately acquiring suitable like - kind replacement properties within the required 1031 Exchange deadlines.
Therefore the identification of like - kind replacement property can be somewhat complicated, especially in build - to - suit (improvement) 1031 Exchange transactions, so you should consult with Exeter 1031 Exchange Services, LLC and your professional legal and tax advisors in the preparation of your identification of like - kind replacement property.
Reverse 1031 exchange transactions structured pursuant to this Revenue Procedure are considered to be «safe - harbor» reverse 1031 exchange transactions and those structured outside of the Revenue Procedure are considered to be «non-safe harbor» reverse 1031 exchange transactions and should only be completed with competent legal counsel.
This article will provide you with a very brief and concise overview of Construction 1031 Exchange transactions.
Reverse 1031 Exchange transactions can also be structured to take advantage of the Construction 1031 Exchange strategy.
Most of your 1031 exchange transactions will be structured as forward or delayed 1031 exchange transactions where you sell your relinquished property first and then subsequently acquire and close on your replacement property within the prescribed 1031 exchange deadlines.
1031 Exchange transactions involving personal property must comply with all of the normal requirements and guidelines for structuring tax - deferred exchange transactions outlined in Section 1031 of the Internal Revenue Code and Section 1.1031 of the Treasury Regulations, including compliance with the strict deadlines for the identification of replacement property and completion of the 1031 Exchange.
October 20, 2005 — San Diego, California — Exeter Reverse 1031 Exchange Services, LLC was formed to serve as the Exchange Accommodation Titleholder for real estate investors» reverse and improvement 1031 exchange transactions
1031 exchange transactions are one of the last remaining strategies available to defer the recognition of capital gain and depreciation recapture income taxes on the sale or disposition of qualifying property.
This article has been a very quick, basic and concise overview of Construction 1031 Exchange transactions.
Forward 1031 Exchange transactions can be structured to take advantage of the Build - To - Suit 1031 Exchange strategy.
Chicago - based Syndicated Equities Corp. has completed eight 1031 Exchange transactions across the country.
Information on 1031 exchange transactions is available at www.rees1031.com.
Related party 1031 Exchange transactions occur when you sell your relinquished property to a related party or you buy your like kind replacement property from a related party.
These two Revenue Procedures actually provide very helpful and favorable guidance for the structuring of your 1031 exchange transactions.
It provided investors with an additional replacement property option that had not existed before — fractional or co-ownership of real estate (CORE)-- and is partially responsible for the explosive growth in the volume of 1031 Exchange transactions between 2002 and 2007.
Prior to 2000, Reverse 1031 Exchange transactions were completed with little technical and structural guidance from the Department of the Treasury or the Internal Revenue Service.
Revenue Ruling 2004 - 86 now permitted Delaware Statutory Trusts or DSTs to qualify as real estate and therefore as a replacement property solution for 1031 Exchange transactions.
Exeter 1031 Exchange Services, LLC is always available to assist Investors with complex Reverse 1031 Exchange transactions.
As you might expect, this Revenue Procedure has significantly increased the number of Reverse 1031 Exchange transactions being conducted by Investors since 2000.
And, we are always available to assist with the structuring and administration of your Reverse and Improvement 1031 Exchange transactions, including serving as your Exchange Accommodation Titleholder («EAT»).
It is important to note that 1031 Exchange transactions are tax - deferred exchanges — not tax - free exchanges — as many speakers, authors and advisors frequently refer to them.
1031 Exchange transactions are complex income tax structures that require creative, customized solutions in order to meet your needs.
As a Qualified Intermediary for 1031 Exchange transactions, one of the many concerns that we often hear from investors when structuring 1031 Exchange transactions is the difficulty in locating, identifying and ultimately acquiring suitable replacement properties within their required 1031 Exchange deadlines.
May works with Real Estate Portfolios with Commercial Real Estate, Land, Investment Planning, Valuations of Special Properties, as well as TIC and 1031 Exchange Transactions.
Please feel free to contact Asset Preservation, Inc. if you have any questions concerning the viability of a 1031 exchange transaction.
The plaintiffs allege that the real estate professionals breached their fiduciary duty by failing to open escrow, failing to deposit the purchasers» deposit into escrow, failing to notify the seller that timing was critical because the transaction was part of a Section 1031 exchange transaction, failing to identify alternate properties, and failing to use correct forms.
Plaintiffs engaged the defendant real estate representatives to help them sell and buy rental properties for use in a Section 1031 exchange transaction in order to minimize the plaintiff's tax liability.
A Qualified Intermediary, as an independent third party, is needed to facilitate a 1031 exchange transaction and hold the funds on behalf of the investor.
Buyer acknowledges that Seller intends to perform a tax - deferred exchange transaction pursuant to Section 1031 of the Internal Revenue Code and Section 1.1031 of the Treasury Regulations and that Seller's rights, title and interest (but not obligations) pursuant to this [Insert Name of Purchase and Sale Agreement or Sales Contract or Escrow Instructions] will be assigned to Exeter 1031 Exchange Services, LLC, as Seller's Qualified Intermediary, for the purpose of completing Seller's 1031 Exchange transaction.
The Internal Revenue Service issued Revenue Ruling 2004 - 86 on August 16, 2004, which permitted the use of the co-investorship or fractional ownership structure of the Delaware Statutory Trust or DST to qualify as replacement properties as part of an investor's 1031 Exchange transaction.
If so, ask your 1031 Exchange Advisor to provide you with a free estimated tax saving benefit analysis on any commercial real estate for which you are evaluating and considering identifying as part of your 1031 Exchange transaction.
The Reverse 1031 Exchange transaction is permitted under Revenue Procedure 2000 - 37, which was issued by the Department of the Treasury and the Internal Revenue Service on September 15, 2000.
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