JBGoodwin REALTORS - Austin, TX  
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•March 2013

•2013 First Quarter Federal
    Tax Developments

•January 2013

•2012 Fourth Quarter Federal
    Tax Developments

•October 2012

•2012 Third Quarter Federal
    Tax Developments

•May 2012

•2012 Second Quarter Federal
    Tax Developments

•April 2012

•2012 First Quarter Federal
    Tax Developments

•January 2012

•2011 Fourth Quarter Federal
    Tax Developments

•October 2011

•2011 Third Quarter Federal
    Tax Developments

•July 2011

•2011 Second Quarter Federal
    Tax Developments

•April 2011

•2011 First Quarter Federal
    Tax Developments

•January 2011

•2010 Fourth Quarter Federal
    Tax Developments

•October 2010

•2010 Third Quarter Federal
    Tax Developments

•July 2010

•2010 Second Quarter Federal
    Tax Developments

•April 2010

•2010 First Quarter Federal
    Tax Developments

•January 2010

•2009 Fourth Quarter Federal
    Tax Developments

•October 2009

•2009 Third Quarter Federal
    Tax Developments

•July 2009

•2009 Second Quarter Federal
    Tax Developments

•April 2009

•2008 Fourth Quarter Federal
    Tax Developments

•January 2009

•2008 Fourth Quarter Federal
    Tax Developments

•October 2008

•Emergency Economic
    Stabilization Act of 2008

•July 2008

•Economic Stimulus Act
    of 2008

•April 2008

•Rebate Checks

•January 2008

•2007 Year-End Tax
    Legislation Alert

•October 2007

•2007 Year-End Tax
    Planning For Individuals

•July 2007

•2007 Business Travel

•April 2007

•2007 Planning -
    Standard Mileage Rates

•January 2007

•2005 Tax Legislation:
    Energy Act of 2005

•October 2006

•2006 Year-end Tax
    Planning

•July 2006

•Arranging HouseholdHelp -
    "Nanny Tax" Law

•April 2006

•Passive Activity Losses

•January 2006

•Paying the IRS - Paying
    Individual Estimated Tax

•October 2005

•Alternative Minimum Tax

•July 2005

•Business Trips That Mix
    Business with Pleasure

•April 2005

•Recordkeeping - Common
    Requirements for Business
    Income

•January 2005

•2004 Tax Legislation:
    Jobs Act General Highlights

•October 2004

•Business Trips That Mix
    Business with Pleasure

•July 2004

•Keogh or SEP for the
    Self-Employed Person?

•April 2004

•Planning for 2003 IRA
    Contributions

•January 2004

•Hiring Your Spouse
    as an Employee

•October 2003

•Selling Investment Property -
    Like-Kind Exchanges

•July 2003

•Making Sure Entertainment
    Expenses Yield Deductions

•April 2003

•Sale of a Residence
    with a Home Office

•January 2003

•Exclusions on Sale or
    Exchange of a Principal
    Residence

Tax Tips

Tax Tips are provided by
Wood, Johnson, Heath, P.C.
8200 North Mopac, Suite 110, Austin, Texas 78759
Tel: 512-343-8075 - E-mail: info@wjh-cpa.com - Web: www.wjh-cpa.com
Certified Public Accountants, Financial Advisors, Management Consultants, Outsourced Service Provider

NOTE: The information in these tips is not intended to constitute legal, accounting, tax, investment, consulting, or other professional advice or services. For specific information that applies to your circumstances you should consult a qualified professional advisor.

October 2003
Selling Investment Property - Like-Kind Exchanges

A well known, but sometimes overlooked, way to alter investment holdings without paying tax at the time of the transaction is through the use of "like-kind" exchanges. In a like-kind exchange, investment property is traded for other investment property. The person transferring one piece of property receives different property but keeps the same basis as that for the old property. That way, the gain is deferred while other tax attributes are preserved.

Of particular interest are the flexible features that make a like-kind exchange an especially useful technique. First, properties do not have to be of identical type to qualify as like-kind. To take a few examples, commercial buildings have been exchanged for unimproved lots, farm land for city lots, and even cooperative housing stock carrying occupancy rights for a condominium interest in the same property. One caution: like-kind exchanges do not work with all types of investment property. For instance, neither stocks and bonds nor partnership interests qualify.

Second, properties do not have to be exchanged at the same time. Therefore, it is not necessary to have already located the exchange property to make a like-kind exchange (an important consideration if the end of a tax year is looming). It is sufficient that the exchange property be identified within 45 days after the relinquished property is given up, and that the identified property be received within 180 days. (However, if the tax return due date for the original transfer year occurs before the end of the 180-day period, the identified property must be received on or before the tax return due date).

To illustrate how these exchanges can work, consider the following example:

Fred owns an interest in an office building. He bought it years ago for $10,000, but today it's worth at least $100,000. Fred has decided to move to Florida and convert his office building interest into an ownership share in a Florida apartment building. Allison wants to buy Fred's office building interest, and for tax reasons she wants to own the building interest by December 31. Fred wants to avoid the high tax he would have to pay after a cash sale.

A solution is a deferred like-kind exchange. Fred transfers his building interest to Allison on December 31. Allison agrees to locate and buy a Florida apartment building interest of equal value suitable to Fred. (Fred can even insist that Allison put the purchase price in escrow, so long as Fred has no independent right to the cash). After Allison finds and buys the Florida property, she transfers it to Fred, and the like-kind exchange is completed. Provided the 45/180 day rules along with other requirements are satisfied, Fred receives the Florida property tax-free, with the same basis and holding period he had in the office building.

Obviously, a like-kind exchange can be an excellent tool that can be used to achieve investment goals. Even in situations where it is impractical to arrange a completely tax-free transaction, like-kind exchanges may still reduce the immediate tax consequences of altering investment holdings, but any transaction must be carefully structured.

If you have any questions as to how these rules apply to your particular situation, please do not hesitate to call WJH at 512-343-8075.

Wood, Johnson, Heath, P.C.

 
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