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Specializing in Flawless Section 1031 Exchanges For Over 28 Years |
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| News & Updates for Professionals | |
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WHAT IS LIKE-KIND PROPERTY? Myth
Busted: "Like-kind" means ANY real The term Like-Kind appears in the Internal Revenue Code (IRC) in connection with Section 1031 Tax Deferred Exchanges and also in connection with Section 1033, Involuntary Conversions. Its largest application is in Tax Deferred Exchanges. When applied to a Tax Deferred Exchange, the term "Like-Kind" is a term of art that simultaneously means four things: Location, Type, Use, and ValueLocation
of Property: For
a property to be Like-Kind to another property, both must be located in
the United States (the 50 states, or Washington, DC), or both must be located
outside the United States. The US
possessions are outside the United States. For example, Colorado property is Like-Kind to New Mexico property, but not Like-Kind to Canadian property. British property is Like-Kind to French property, buy not Like-Kind to New York property. Type
of Property: For
a property to be Like-Kind to another property, both must be of the same type.
Real Property is Like-Kind to all other Real Property, and the degree of
improvement of each is immaterial. For example, vacant land is Like-Kind to a
condominium. The
like-kind test is more stringent for Personal Property.
For an article of Personal Property (i.e.: a backhoe) to be Like-Kind to
another article of Personal Property, both must appear in the same 6-digit
product code category of the North American Industry Classification System (NAICS).
The first digit must be a "3"; the second digit may be a
"1, 2, or 3", and the last digit may not be a "9". The
NAICS Code for a backhoe is 333120 (Construction Machinery Manufacturing).
Examples of other items in this category that are of Like-Kind to a
backhoe are bulldozers, off-highway trucks and road graders.
See www.census.gov/naics
for more information. Use
of Property:
For
a property to be Like-Kind to another, both properties must be used by the
taxpayer in a Trade or Business, or for Investment.
Trade or Business Property and Investment Property are but two of the
four broad types of property addressed by the IRC, the other two are Personal
(Use) Property and Dealer Property.
Personal (Use) Property is property used by the taxpayer for personal
purposes, for example, a residence or vacation home, or a personal automobile.
Dealer Property is property that the taxpayer “deals in”, meaning
property that is held primarily for sale such as lots, spec houses, or motor
vehicles. Personal
(Use) Property and Dealer Property may not be exchanged, but Trade or Business
Property and Investment Property can be exchanged.
Both properties do not have to be the same use either: The given
(Relinquished) property can used by the Taxpayer for an Investment, for example
vacant land, and the received (Replacement) property can be used by the Taxpayer
in Trade or Business, for example, as a rental condominium. Value
of Property: The
last element comprising the definition of Like-Kind is the value of the
property. For one property to be of
Like-Kind to another, the values of each must match.
This doesn’t require a one-for-one or property for property match;
it’s the value of what’s being sold matched against what is being acquired. If
the prices of the two properties don’t match, to the extent there is a
disparity, then property of an Unlike Kind will be subject to tax. This
property is termed “Boot” or sometimes “Boot Property” and can be
anything from cash to debt relief to personal property items added to make the
transaction balance. Only the
person receiving Boot pays taxes on it. The
goal in an exchange is to go even or up in value. Summary: Four elements must be simultaneously present for two properties to be of a Like-Kind with one another. They both must be in the US or both outside of the US, they both must be of the same type, both must have been used as the Taxpayer’s investment or in trade or business, and both must be comparably valued. Section 1031 Tax Deferred Exchanges, when structured properly, avoid the receipt of un-like-kind property and exposure to taxable boot.
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Over the years we have educated hundreds of professionals and individuals, and we welcome the opportunity to train you as well. We never charge for Section 1031 training. Call us or fill out this form to arrange for your seminar or webinar. |
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Edmund
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