Tag Archives: like kind exchange

CPE Tax Seminar in Lake Success on January 10, 2013

The Law Office of David L. Silverman is pleased to announce that it is hosting a Like Kind Exchange seminar for Certified Public Accountants in Lake Success, New York on January 10, 2013.  For those CPAs in attendance, 2.0 CPE … Continue reading

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Tax News & Comment — October 2012

View in PDF: Tax News & Comment — October 2012

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Gain, Loss and Depreciation Issues in Like Kind Exchange

View PDF of Article in Tax News & Comment — October 2012 GAIN, LOSS, AND DEPRECIATION ISSUES IN LIKE KIND EXCHANGES [Note: Excerpted from Like Kind Exchanges of Real Estate Under IRC. §1031 (David L. Silverman, 3rd Ed.,1/11).View treatise at … Continue reading

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August Comment — Deferred Exchanges Under the Regulations

VIEW IN PDF:  Tax News & Comment — August 2011 [Note: Excerpted from Like Kind Exchanges of Real Estate Under IRC. §1031 (David L. Silverman, 3rd Ed.,1/11).View treatise at nytaxattorney.com] I.  Overview of Statute A deferred exchange may be a … Continue reading

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Tax News & Comment — April 2011

View Issue: Tax News & Comment — April 2011 pril 14, 2011 I. ESTATE TAX RETURNS Calculation and remittance of federal and NYS estate tax is of primary concern in administering an estate. An estate tax return must be filed … Continue reading

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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

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Like Kind Exchanges of Real Estate Under IRC Section 1031 — Treatise

Over the past three decades, Congress has enacted various Code provisions and modified existing provisions in an attempt to impede taxpayers’ ability to reduce income tax liability when engaging in real property transactions. The Section 1031 “like-kind” exchange is a powerful tax-deferral technique that has, for the most part, escaped rigorous Congressional scrutiny. The statute permits a taxpayer to relinquish property (often real property) held for “productive use in a trade or business” or for “investment” and exchange it for “like kind” replacement property, without recognizing gain or loss. A cash sale of property followed by a cash purchase of like kind property will not constitute a like kind exchange. Halpern v. U.S., 286 F.Supp. 255 (ND Ga. 1968); PLR 7918018. To constitute an “exchange” within the meaning of the statute, the transaction must be a “reciprocal transfer of property, as distinguished from a transfer of property for a money consideration only.” Regs. § 1.1002-1(d). The rationale for nonrecognition in this circumstance stems from Congress’ view that tax should not be imposed on realized gains where the investment continues in nearly identical form. Continue reading

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2009 Decisions and Rulings Under IRC Section 1031

2009 Decisions and Rulings Under IRC Section 1031
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Gain, Loss, Basis & Debt Issues in Like-Kind Exchanges

Where a taxpayer “trades up” in a like-kind exchange by acquiring property more valuable than the property relinquished and no boot is received, Section 1031 operates to defer recognition of all realized gain. However, if the taxpayer “trades down” and acquires property less valuable than that relinquished — thereby receiving cash or other nonqualifying property in the exchange — like kind exchange status will not be imperiled, but the taxpayer will be forced to recognize some of the realized gain. Continue reading

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