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Real Estate Tax Forum (First Annual)
Chair(s):
Leslie H. Loffman, Sanford C. Presant
Practice Area:
Real estate,
Tax
Published:
Feb 1999
i
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ISBN:
0872245756
PLI Item #:
195128
CHB Spine #:
J436, J437
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Table of Contents
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Front Matter
Table of Contents
Chapter 1. RECENT DEVELOPMENTS AFFECTING REAL ESTATE AND PASS-THROUGH ENTITIES
Chapter 2. REAL ESTATE TAX PLANNING-AN OVERVIEW
Chapter 3. DOING A DEAL WITH A REIT: THE PROPERTY OWNER'S PERSPECTIVE
Chapter 4. DOING A DEAL WITH A REIT: THE PROPERTY OWNER'S PERSPECTIVE (SLIDES)
Chapter 5. TAX TREATMENT OF REITS AND REIT SHAREHOLDERS
Chapter 6. REIT MERGERS & ACQUISITIONS: TAX CONSEQUENCES
Chapter 7. TAX ACCOUNTING ISSUES IN MERGERS AND ACQUISITIONS
Chapter 8. THE HISTORY OF SECTION 704(B)
Chapter 9. EXPLORING THE OUTER LIMITS OF SECTION 704(C)(1)(A)
Chapter 10. THE SECTION 704(C)(1)(A) REGULATIONS
Chapter 11. ALLOCATION OF NONRECOURSE LIABILITIES: IRS TAKES TWO STEPS FORWARD, ONE BACK
Chapter 12. ALLOCATING PARTNERSHIP LIABILITIES UNDER SECTION 752 OF THE INTERNAL REVENUE CODE
Chapter 13. UNSECURED BORROWING TREATED AS QUALIFIED NONRECOURSE FINANCING UNDER CODE SECS. 752 AND 465
Chapter 14. IRS ISSUES TAXPAYER-FRIENDLY QUALIFIED NONRECOURSE FINANCING REGS
Chapter 15. SYNTHETIC LEASING
Chapter 16. CERTAIN RECENT DEVELOPMENTS AFFECTING THE FEDERAL TAX TREATMENT OF LEASING TRANSACTIONS
Chapter 17. TAX ASPECTS OF REAL ESTATE INVESTMENT TRUSTS
Chapter 18. REAL ESTATE INVESTMENT TRUSTS: A GUIDE TO THEIR HISTORY, FORMATION AND TAXATION
Chapter 19. PLANNING FOR TAXABLE ACQUISITIONS INVOLVING REAL ESTATE INVESTMENT TRUSTS
Chapter 20. REAL ESTATE WORKOUTS-A STEP BY STEP ANALYSIS
Chapter 21. TAX CONSEQUENCES OF REAL ESTATE WORKOUTS AND BANKRUPTCIES
Chapter 22. TAX ASPECTS OF REAL ESTATE WORKOUTS
Chapter 23. CREATIVE STRATEGIES FOR THE DISPOSITION OF OVERLEVERAGED REAL ESTATE
Chapter 24. CREATIVE STRATEGIES FOR THE DISPOSITION OF OVERLEVERAGED REAL ESTATE (SLIDES)
Chapter 25. TAX TREATMENT OF ENVIRONMENTAL REMEDIATION COSTS
Chapter 26. SELECTED ISSUES IN THE INCOME TAX TREATMENT OF ENVIRONMENTAL REMEDIATION COSTS
Chapter 27. THE TAX TREATMENT OF ENVIRONMENTAL CLEANUP COSTS
Chapter 28. CAPITAL GAINS AND INVESTMENT PLANNING
Chapter 29. CAPITAL GAINS AND INVESTMENT PLANNING (SLIDES)
Chapter 30. TAX GHOSTS UNDER SECTION 1031
Chapter 31. THE "CHECK THE BOX REGULATIONS" AND PARTNERSHIP TAX STATUS
Chapter 32. FINAL PTP REGS. ABANDON RESTRICTIVE CONDITIONS AND ADOPT WORKABLE NEW EXEMPTIONS
Chapter 33. TAX ASPECTS OF THE INITIAL PARTNERSHIP OR LLC NEGOTIATION
Chapter 34. NEGOTIATING ACQUISITIONS USING OP UNITS
Chapter 35. SELECTED TAX ALLOCATION PROBLEMS FOR PARTNERSHIPS AND LLCS
Chapter 36. SELECTED OPERATING AGREEMENT TAX ALLOCATION PROVISIONS FOR LIMITED LIABILITY COMPANIES
Chapter 37. CREATIVE PARTNERSHIP EXIT STRATEGIES
Chapter 38. PLANNING FOR THE TERMINATION OF AN INTEREST IN A PARTNERSHIP-WITHDRAWALS, DISTRIBUTIONS AND OTHER EXIT STRATEGIES
Chapter 39. ESTATE PLANNING FOR REAL ESTATE
Chapter 40. FOREIGN INVESTMENTS IN U.S. REAL PROPERTY STRUCTURING ALTERNATIVES
Chapter 41. REAL ESTATE AND THE DEFERRED EXCHANGE REGULATIONS
Chapter 42. SECTION 1031 EXCHANGES AND DEATH
Chapter 43. RELATED PARTY EXCHANGES-AN EXAMINATION OF TECHNICAL ADVICE MEMORANDUM 9748006
Chapter 44. IDENTIFICATION OF MULTIPLE REPLACEMENT PROPERTIES IN A DEFERRED EXCHANGE
Chapter 45. HOW DO YOU DO AN EXCHANGE WITH A SPECIAL PURPOSE ENTITY?
Chapter 46. LIKE-KIND EXCHANGES AND LIMITED LIABILITY COMPANIES
Chapter 47. PLANNING DEFERRED LIKE-KIND EXCHANGES
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