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Like-Kind Exchanges: A Practitioner’s Guide to IRC §1031

Like-Kind Exchanges: A Practitioner’s Guide to IRC §1031

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Like-Kind Exchanges: A Practitioner’s Guide to IRC §1031

I. Overview of IRC §1031

  • Purpose and policy behind tax-deferred exchanges
  • Statutory framework and four general requirements
  • Benefits of tax deferral and strategic advantages

II. Qualifying Property & Investment Intent

  • Definition of real property (Treasury Regulations effective Dec. 2020)
  • What qualifies and what does not
  • “Held for investment” requirement and relevant case law
  • Business vs. investment use

III. Structuring the Exchange

  • Exchange requirement and avoiding constructive receipt
  • Role of the Qualified Intermediary
  • Safe harbor rules and “G(6)” restrictions

IV. Critical Deadlines & Identification Rules

  • 45-day identification period
  • 180-day exchange period
  • 3-Property Rule, 200% Rule, 95% Rule
  • Disaster extensions

V. Maximizing Tax Deferral

  • Reinvestment and debt replacement requirements
  • Understanding and avoiding “boot”
  • Back-of-the-envelope gain calculations

VI. Advanced Exchange Structures

  • Forward exchanges
  • Reverse exchanges (Rev. Proc. 2000-37)
  • Parking arrangements and Exchange Accommodation Titleholders (EATs)

VII. Current Developments & Practical Considerations

  • Partnership issues
  • Incidental personal property rules
  • Risk management and compliance considerations

Presenter

Eric Brecher, Esq., CES®

Chicago Deferred Exchange Company – Wintrust Financial Corp

New York, New York

This program is sponsored by the Real Property Law Section.

Published Date:
  • March 31, 2026
Format:
  • Online On-Demand
Product Code:
  • VQR71
Areas Of Professional Practice Credit(s):
  • 1.0
Total Credit(s):
  • 1.0