|
Through a properly structured 1031
Exchange an investor sells a property, reinvests the proceeds
in a new property and defers all capital gain taxes. IRC
§1031 (a)(1) states:
"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."
To
understand the powerful protection an exchange offers, consider
the following:
An
investor has a $500,000 capital gain and incurs a tax
liability of approximately $125,000 in combined taxes
(depreciation recapture, federal and state capital gain
taxes) when the property is sold.
If
the investor obtains a cash on cash return of 7% with
an exchange, reinvesting $500,000 yields $8,750 more each
year than investing the after tax $375,000.
The
chart below shows the differences in investment return.
Foreground is return on $375K invested at 7% and background
is return on $500K which would be available with an exchange.
Difference at only 7 years is more than $203K.

(Note:
This chart does not pertain to a specific proeuct. It
is a hypothetical illustration of retained & after
tax dollars.)
As the above example and chart demonstrates, exchanges protect
investors from capital gain taxes and consequently facilitate
portfolio growth through increased returns on investment
by having the dollars not paid to Uncle Sam work for the
investor. Calculate
your tax liability.
==================================================================
SALES
CONTRACT
Exchange
Contract Cooperation Clause
The
exchanger should have an exchange cooperation clause in
the purchase and sale agreement for both the relinquished
and replacement properties.
Relinquished
Property
Buyer
hereby acknowledges that Seller intends to complete a
tax deferred exchange under IRC Section 1031, provided
that the exchange will not delay the closing hereunder
or cause additional expense to the Buyer. The Seller’s
rights under the purchase and sale agreement may be assigned
to a Qualified Intermediary selected by the Seller for
the purpose of completing the exchange. Buyer agrees to
cooperate with Seller and the Qualified Intermediary selected
by Seller (in the manner described in this paragraph)
to complete the exchange.
Replacement
Property
Seller
is aware that Buyer intends to perform an IRC 1031 tax
deferred exchange. Buyer requests Seller’s cooperation
in such an exchange and agrees to hold Seller harmless
from any and all claims, costs, liabilities, or delays
in time resulting from such an exchange. Seller agrees
to the assignment of this contract by the Buyer.
QUALIFIED
INTERMEDIARY (QI)
The
Qualified Intermediary industry is not regulated. You could
call yourself a QI. The Final Treasury Regulations of 1991
streamlined the exchange process and defined the role of
the Qualified Intermediary.
A Qualified Intermediary:
- Confers
with you and your support staff so that 1031 rules and
regulations are thoroughly understood.
-
Prepares the necessary documentation and oversees each
closing to assist in maintaining proper 1031 procedures.
- Provides
guidelines, knowledge and vigilantly observes the critical
time limits throughout the entire exchange process.
Seller should contract with a QI/Company that is bonded
and whose sole business is exchanges.
TO OBTAIN A DEFERRAL OF THE ENTIRE CAPITAL GAIN
TAX
The Exchanger must:
- Purchase
replacement property that is equal or greater than the
relinquished property.
-
Invest all the net proceeds from the relinquished property.
-
Obtain equal or greater financing on the replacement property
than was paid off on the relinquished property. Except
that replacement property debt can always be offset with
cash added to the exchange.
-
Receive only like-kind property.
LIKE KIND PROPERTY
In a tax deferred exchange you can exchange real property
for any other real property in the United States or its
possessions, if the property is held for investment purposes
(you cannot 1031 real property determined to be "dealer"
property). With Rev.
Proc 2005-14 your primary residence (IRC Section 121)
can have IRC Section 1031 applied to its sale.
DELAYED EXCHANGE TIME LIMITS
The “date of transfer” will be the date of recording
or transfer of the benefits of ownership, whichever occurs
first. If executing a multi-property exchange, the time
limits begin to run on the date the Exchanger transfers
the first relinquished property to the buyer.
-
The Exchanger must acquire all the replacement property
(ies) within 180 days, or the date the Exchanger must
file the tax return (including extensions) for the year
of the transfer.
- The
Exchanger must identify the potential replacement property
(ies) within the first 45 days of the 180 day Exchange
Period.
These
time limits are in granite. The first exception ever was
after 9/11. No one asked. The Treasury acting on its own
granted an extension period reflective of the inability
to conduct normal everyday business. Subsequently, Treasury
has granted similar extensions for hurricanes and other
natural disasters.
THE THREE IDENTIFICATION RULES (only
one would be used)
1. Three Property Rule - The Exchanger may identify
up to three properties of any value.
2. 200% Rule - The Exchanger may identify more
than three properties, but the total fair market value
of what is identified cannot exceed 200% of the fair market
value of the relinquished property. This is usually used
in the following two situations:
a. Seller is selling unencumbered land and buying replacement
land for cash.
b. Seller is selling a property leveraged at 65% or
more and planning to acquire replacement property with
similar leverage.
3. 95% Exception - If the Exchanger identifies
properties in excess of both Rule 1 and Rule 2, then the
Exchanger must acquire 95% of the equity of all properties
identified.
Implementation
of this third rule is useful when acquiring multiple houses/lots
in a subdivision or when selling a greater priced property
($700,000) and acquiring during your 45 day identification
period a series of inexpensive properties ($30,000 - $50,000)
such as rental homes.
TITLE/EXCHANGE VESTING
With few exceptions title to the Replacement Property must
be held in the same manner as the title was held to the
Relinquished Property.
Individual relinquishes--------Individual acquires
ABC Partnership relinquishes------ABC Partnership acquires
XYZ Corporation relinquishes------XYZ Corporation acquires
The basic exception is disregarded entities for tax purposes.
The new entity is disregarded for tax purposes when the
Exchanger uses the same tax identification number.
Mary Jones......Mary Jones, LLC
Mary Jones......MV-MJ,LLC
ABC
Partnership.....ABC, LLC
ABC Partnership.....MV-ABC, LLC
|