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Like-Kind Exchanges

Like-kind exchanges -- when you exchange real property used for business or held as an investment solely for other business or investment property that is the same type or “like-kind” -- have long been permitted under the Internal Revenue Code.  Generally, if you make a like-kind exchange,  you are not required to recognize a gain or loss under Internal Revenue Code Section 1031. If, as part of the exchange, you also receive other (not like-kind) property or money, you must recognize a gain to the extent of the other property and money received. You can’t recognize a loss.

Under the Tax Cuts and Jobs Act, Section 1031 now applies only to exchanges of real property and not to exchanges of personal or intangible property. An exchange of real property held primarily for sale still does not qualify as a like-kind exchange. A transition rule in the new law provides that Section 1031 applies to a qualifying exchange of personal or intangible property if the taxpayer disposed of the exchanged property on or before December 31, 2017, or received replacement property on or before that date. 

Thus, effective January 1, 2018, exchanges of machinery, equipment, vehicles, artwork, collectibles, patents and other intellectual property and intangible business assets generally do not qualify for non-recognition of gain or loss as like-kind exchanges. However, certain exchanges of mutual ditch, reservoir or irrigation stock are still eligible for non-recognition of gain or loss as like-kind exchanges.

Like-Kind Property

Properties are of like-kind if they’re of the same nature or character, even if they differ in grade or quality.

Real properties generally are of like-kind, regardless of whether they’re improved or unimproved. For example, an apartment building would generally be like-kind to another apartment building. However, real property in the United States is not like-kind to real property outside the United States.

For more information, visit https://www.irs.gov/

RISK Disclosures

 

The principals of 1031solutionsgroup.com have been functioning in the 1031 exchange space for over 20 years.  We do not intend to act as a broker or sell any goods or services.  1031solutionsgroup.com does not offer legal or tax advice.  Tax topics discussed are for educational purposes only and should not be considered professional tax advice.  It’s recommended that you discuss your situation with your tax or legal advisor.  We do not collect any fees or payments from you, the investor, but keep in mind that we may receive referral fees should we refer you to a 1031 QI, Real Estate Agent, Commercial Broker or Investment Broker.  However, this does not impact our reviews and comparisons and we are only acting as a consultant on your behalf.  We try our best to keep things fair and balanced, in order to help you make the best choice in terms of your 1031 situation.

 

Distributing an investment in different assets or choosing alternative investments involves higher risks than traditional investment and should not be taken for granted.  All alternative investment strategies are sold along with a prospectus that discloses all the risks, fees and expenses.  The investor should be prepared to bear loss knowing that financial risks are attached to such alternative investments. 

This material does not constitute an offer to sell nor a solicitation of an offer to buy any security.  Such offers can be made only by the confidential Private Placement Memorandum (the “Memorandum” or “Prospectus”).  Please read the entire Memorandum paying special attention to the risk section prior to investing.  IRC Section 1031, IRC Section 1033 and IRC Section 721 are complex tax codes therefore you should consult your tax or legal professional for details regarding your situation.  There are material risks associated with investing in real estate securities including illiquidity, vacancies, general market conditions and competition, lack of operating history, interest rate risks, general risks of owning/operating commercial and multifamily properties, financing risks, potential adverse tax consequences, general economic risks, development risks and long hold periods.  There is a risk of loss of the entire investment principal.  Past performance is not a guarantee of future results.  Potential cash flow, potential returns and potential appreciation are not guaranteed. 

1031 Solutions Group

michelle@1031solutionsgroup.com  |   1 (949) 274-2003

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