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EXCHANGING
PROPERTY
HELD
IN
AN
ENTITY
Partnerships interests,
corporate stock, and limited liability interests are not
qualified property and cannot qualify for tax deferral
if exchanged.
If you and all other owners
of the entity want to exchange property for other like
kind property, there is no problem. The exchange
occurs at the entity level. The asset owned by the
company is exchanged; no exchange of the ownership
interest occurs.
If all the owners of the
company do not want to exchange, you will need to
transfer title to the asset to be exchanged into the
individual names of the partners or stockholders
dividing ownership among the owners. Before removing an
asset
from the company, you should
consult with your accountant to make certain that the
removal will not trigger taxation.
After transfer of the asset
to the company owners, they can sell and pay the tax
from any gain or exchange the interest under Section
1031. If there is no business reason for
transferring an asset into the owners of the company,
other than the avoidance of taxation, the exchange may
be challenged.
The longer the time between
transfer of an asset into the entity owners and the
exchange, the less likely the exchange will be
challenged.
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