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Tag Archives: basis of property
Like Kind Exchanges of Real Estate Under IRC §1031 — Treatise (January 2011)
PDF: Like Kind Exchange Treatise PDF: Like Kind Exchange Treatise Like Kind Exchanges of Real Estate Under IRC §1031 © 2011 David L. Silverman, J.D., LL.M. (Taxation) Law Offices of David L. Silverman 2001 Marcus Avenue, Suite 265A South Lake … Continue reading →
Posted in Federal Income Tax, Like Kind Exchanges, Treatises
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Tagged 1031 exchange, basis of property, boot gain, build-to-suit, deferred exchange, deferred exchanges, Delaware Statutory Trusts, depreciation in 1031 exchange, exchange first reverse exchange, exchange last reverse exchange, gain or loss in exchange, installment sale reporting of deferred exchanges, interest tracing, liabilities, like kind exchange, partnership exchanges, pre-exchange financing, qualified escrow accounts, qualified intermediary, qualified trust accounts, qualified use, related party exchanges, relinquished property, replacement property, reverse exchanges, tenancies in common
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Like Kind Exchanges of Real Estate Under IRC §1031 — Treatise (January 2011)
PDF: Like Kind Exchange Treatise PDF: Like Kind Exchange Treatise Like Kind Exchanges of Real Estate Under IRC §1031 © 2011 David L. Silverman, J.D., LL.M. (Taxation) Law Offices of David L. Silverman 2001 Marcus Avenue, Suite 265A South Lake … Continue reading →
Posted in Federal Income Tax, Like Kind Exchanges, Treatises
|
Tagged 1031 exchange, basis of property, boot gain, build-to-suit, deferred exchange, deferred exchanges, Delaware Statutory Trusts, depreciation in 1031 exchange, exchange first reverse exchange, exchange last reverse exchange, gain or loss in exchange, installment sale reporting of deferred exchanges, interest tracing, liabilities, like kind exchange, partnership exchanges, pre-exchange financing, qualified escrow accounts, qualified intermediary, qualified trust accounts, qualified use, related party exchanges, relinquished property, replacement property, reverse exchanges, tenancies in common
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