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Taxation of Real Estate Investment Trusts by James M. Lowy, Robert D. Schactat, Peter C. Mahoney (Paperback)


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Taxation of Real Estate Investment Trusts




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The Basics of REIT Taxation ~ Wachovia Hybrid and Preferred Securities WHPPSM Indicies Market capitalization weighted indicies designed by Wachovia to measure the performance of the preferred shares in addition to five

Taxation of Real Estate Investment Trusts James M Lowy ~ Taxation of Real Estate Investment Trusts provides an exhaustive analysis of the complex tax rules that govern the organization and operation of the REIT vehicle addresses cutting edge structuring techniques and planning ideas considers the tax treatment of REIT shareholders including pension trusts foreign investors and foreign governments and summarizes the evolution of the REIT rules since their enactment in 1960

26 Code § 857 Taxation of real estate investment ~ L 94–455 § 1607a substituted provisions setting an alternative tax in case of capital gains under which if for any taxable year a real estate investment trust has a net capital gain then in lieu of the tax imposed by subsection b1 there is imposed a tax if such tax is less than the tax imposed by such subsection to consist of the sum of a tax computed as provided in subsection b1 on the real estate investment trust taxable income determined by excluding such net

Taxation of Real Estate Investment Trusts and REIT ~ Taxation of REITs is less complex than taxation of partnership investment vehicles Distributions from a REIT are reported on form 1099DIV REITs generally avoid double taxation since they are permitted a deduction for dividends paid to their shareholders

REAL ESTATE Taxation of real estate investment trusts ~ The ever increasing popularity of Real Estate Investment Trusts REITs and similar vehicles demonstrates the growing demand for tax efficient liquid and transparent vehicles for investing in real estate Since its first enactment in the US

26 CFR § 18571 Taxation of real estate investment trusts ~ If a real estate investment trust does not meet the requirements of section 857a and paragraph a of this section for the taxable year it will even though it may otherwise be classified as a real estate investment trust be taxed in such year as an ordinary corporation and not as a real estate investment trust In such case none of the provisions of part II of subchapter M other than sections 856g and 857d will be applicable to it

TAXATION OF REAL ESTATE INVESTMENT TRUSTS Tax Systems ~ The UK legislation in relation to the taxation of Real Estate Investments Trusts REITs was introduced some time ago now in Finance Act 2006 with the first date a company could become a REIT being 1 January 2007

Taxation of real estate investment trusts KPMG China ~ Typically a REIT regime will offer exempt tax status to investment companies or other vehicles which meet certain criteria as to ownership and investment portfolio on the basis that the vehicle then distributes all or most of its profits to shareholders

A Short Lesson on REIT Taxation Intelligent Income by ~ To put it simply REITs are somewhat similar to mutual funds only the focus is on purchasing incomegenerating real estate as opposed to traditional stocks and bonds Legally a REIT must pay out at least 90 of its taxable income as dividends

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