Section 1033 of the Code covers “involuntary conversions,” including natural disasters and losses via eminent domain. Property owners may not realize that funds received as a result of these actions – condemnation award proceeds or insurance proceeds – would normally trigger recognition of gain. Section 1033 of the code, similar to Section 1031, allows taxpayers to defer that recognition of gain.
While similar to a Section 1031 exchange, Section 1033 has some notable differences:
There is no concern about the taxpayer’s “constructive receipt of funds;” therefore there is no need for a qualified intermediary.
Taxpayers have a longer period of time to identify replacement property and reinvest proceeds – generally up to two years, and even up to three years or longer in certain circumstances, such as involuntary conversions arising from certain federally declared disasters.
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