Our attorneys focus on like-kind exchanges under Section 1031 of the Internal Revenue Code. Our group has the technical, real estate and tax expertise to implement solutions whether your exchange is a forward, reverse or a build–to–suit exchange. The group is experienced in all financing or defeasance issues.
We have advised clients on exchanges involving:
- All manner of real estate;
- Air craft;
- Manufacturing equipment; and
- Art work or collectibles.
We review and structure tenancy-in-common agreements that comply with Revenue Procedure 2002-22. We help restructure entities to allow exchanges that meet different financial needs of individual partners and members of LLCs. We have structured reverse exchanges which cannot qualify for the safe harbor when needed by our clients.