Blackman on Taxes Business Real Estate: Who Should Own It? By Irvine Blackman, Author, Attorney, CPA
If I wrote a bible of taxation, the first commandment would be, "thou shalt not put real estate into a corporation." At least a dozen times a year, readers of this column ask us to do a tax consultation (usually for transfer/succession/estate planning), and we find business real estate in a separate "C" corporation (sometimes in an "S" corporation) and leased to the operating corporation. Often, the real estate is owned by the operating corporation. This is a tax disaster waiting to happen. Someday, when you try to get the real estate (invariably, depreciated down to a low tax basis and appreciated in value) out of the corporation, you will run into a double tax. The first tax will hit the corporation when the real estate is sold (or transferred to the stockholders). The problem is that the sales proceeds are stuck inside the corporation, and you can only get at those proceeds via a dividend or a corporate liquidation. Both are subject to a second tax. A transfer of the property to the stockholders also triggers a double tax. So what's the answer? Imagine a business owner, Joe, who is married to Mary. Joe should put the title in his name at the time the real estate is purchased. Here are some of the tax goodies that may come Joe's way over time:
5. The property can be put into a Family Limited Partnership (FLIP), which has many tax and non-tax benefits. For example, a $1 million piece of real estate transferred to a tax FLIP can receive a discount of about $350,000 for estate tax purposes. The estate tax savings could be as high as $192,000. When Mary dies, the law allows her to repeat the raised-tax-basis trick all over again when she leaves the property to her kids. Now you know why owning real estate in a corporation is not only a tax trap, but it also prevents you from reaping a tax harvest during your life, after your death and beyond. Want to learn more tax tricks that will save you a bundle? Read our special reports. Write to: Book Division, Blackman Kallick Bartelstein LLP, 10 South Riverside Plaza, Suite 900, Chicago, Illinois 60606.
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