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    There are significant tax benefits to selling real estate as part of a like-kind exchange. The like kind exchange can be categorized into two types: a simultaneous exchange where a seller sells real estate and invests the proceeds in other real estate, or a deferred exchange in which real estate is sold, the sale proceeds placed in escrow with a qualified

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    Real estate has been termed as the foundation of wealth, currency and value, which shall never crash. The fundamentals of real estate business are derived from the perceptions of risk inherent in the game. It is an accepted financial axiom that when one takes higher degrees of risk, then the potential and returns increase as well. The real estate industry has witnessed a sea of revolution over the last decade with a substantial widening of the gap between the generally held perceptions of risk and the actual risk in a transaction.

    Financing and taxes are the two factors that have worried the buyers and sellers in any real estate transaction. Creativity and negotiating skills can help buyers obtain more favorable financing terms and being aware of like-kind exchange opportunities can help sellers with tax consequences. Section 1031 of the Internal Revenue Code in US provides one of the best strategies for the deferral of capital gains taxes, which would ordinarily arise from the sale of real estate. The term "1031 exchange" refers to Internal Revenue Code Section 1031, which allows real estate investors to sell an investment property and buy replacement investment property without paying capital gains tax on the profit from the sale. The capital gains tax liability is not eliminated; it is merely deferred until the investor ultimately sells out for cash. That's why a 1031 exchange is also called a tax-deferred exchange.

    There are significant tax benefits to selling real estate as part of a like-kind exchange. The like kind exchange can be categorized into two types: a simultaneous exchange where a seller sells real estate and invests the proceeds in other real estate, or a deferred exchange in which real estate is sold, the sale proceeds placed in escrow with a qualified

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    witnessed a sea of revolution over the last decade with a substantial widening of the gap between the generally held perceptions of risk and the actual risk in a transaction.

    Financing and taxes are the two factors that have worried the buyers and sellers in any real estate transaction. Creativity and negotiating skills can help buyers obtain more favorable financing terms and being aware of like-kind exchange opportunities can help sellers with tax consequences. Section 1031 of the Internal Revenue Code in US provides one of the best strategies for the deferral of capital gains taxes, which would ordinarily arise from the sale of real estate. The term "1031 exchange" refers to Internal Revenue Code Section 1031, which allows real estate investors to sell an investment property and buy replacement investment property without paying capital gains tax on the profit from the sale. The capital gains tax liability is not eliminated; it is merely deferred until the investor ultimately sells out for cash. That's why a 1031 exchange is also called a tax-deferred exchange.

    There are significant tax benefits to selling real estate as part of a like-kind exchange. The like kind exchange can be categorized into two types: a simultaneous exchange where a seller sells real estate and invests the proceeds in other real estate, or a deferred exchange in which real estate is sold, the sale proceeds placed in escrow with a qualified

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    le financing terms and being aware of like-kind exchange opportunities can help sellers with tax consequences. Section 1031 of the Internal Revenue Code in US provides one of the best strategies for the deferral of capital gains taxes, which would ordinarily arise from the sale of real estate. The term "1031 exchange" refers to Internal Revenue Code Section 1031, which allows real estate investors to sell an investment property and buy replacement investment property without paying capital gains tax on the profit from the sale. The capital gains tax liability is not eliminated; it is merely deferred until the investor ultimately sells out for cash. That's why a 1031 exchange is also called a tax-deferred exchange.

    There are significant tax benefits to selling real estate as part of a like-kind exchange. The like kind exchange can be categorized into two types: a simultaneous exchange where a seller sells real estate and invests the proceeds in other real estate, or a deferred exchange in which real estate is sold, the sale proceeds placed in escrow with a qualified

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    31, which allows real estate investors to sell an investment property and buy replacement investment property without paying capital gains tax on the profit from the sale. The capital gains tax liability is not eliminated; it is merely deferred until the investor ultimately sells out for cash. That's why a 1031 exchange is also called a tax-deferred exchange.

    There are significant tax benefits to selling real estate as part of a like-kind exchange. The like kind exchange can be categorized into two types: a simultaneous exchange where a seller sells real estate and invests the proceeds in other real estate, or a deferred exchange in which real estate is sold, the sale proceeds placed in escrow with a qualified

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    p>

    There are significant tax benefits to selling real estate as part of a like-kind exchange. The like kind exchange can be categorized into two types: a simultaneous exchange where a seller sells real estate and invests the proceeds in other real estate, or a deferred exchange in which real estate is sold, the sale proceeds placed in escrow with a qualified intermediary, and the proceeds then used to purchase replacement real estate within the time period prescribed by the Internal Revenue Code. In a tax-deferred exchange, the replacement property must be of equal or greater value than the property being sold, and the mortgage on the new property must be of an equal or greater amount than the existing debt on the property being sold. Any excess cash that ends up in the exchanger's hands at the end of the deal is called boot and becomes taxable income.

    The foundation of 1031 exchange rule is that the properties involved in the transaction (the property to be sold and the property to be bought) must both be held for productive purpose in trade or business or as an investment and they must be like kind. This is one of the most misunderstood concepts in 1031 Exchange. Like Kind relates to the use of properties and not to the location or description of it. Any property used to produce income qualifies as like kind to other income-producing property.

    The basic requirements of a 1031 Exchange can be enumerated as follows:

    · Both the property to be sold and the new property to be acquired have to be of like kind.
    · The IRC requires that the new replacement property be identified within a span of 45 days of the closing of the sale.
    · Section 1031 requires that one or more of the new like kind property is purchased by the 180th day of the closing of t

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