
Real Estate Tax Planning A-Z
In a world of shifting legislative priorities, understanding the nuances of the tax code is essential for effective advocacy and deal structuring. Explore the foundational principles of basis and depreciation, the complexities of "choice of entity" (LLCs vs. S-Corps), and the mechanics of high-value strategies like Section 1031 exchanges and Qualified Opportunity Zones. The course concludes with an analysis of recent tax law updates and the ethical considerations inherent in aggressive tax positioning. Register today!
- Avoid "trapped" basis by choosing the right entity early.
- Convert tax liability into reinvestment capital through cost segregation.
- Structure exits that defer federal tax liability.
- Manage cross-border transactions without triggering FIRPTA withholding.
Real Estate Tax Planning A-Z
In a world of shifting legislative priorities, understanding the nuances of the tax code is essential for effective advocacy and deal structuring. Explore the foundational principles of basis and depreciation, the complexities of "choice of entity" (LLCs vs. S-Corps), and the mechanics of high-value strategies like Section 1031 exchanges and Qualified Opportunity Zones. The course concludes with an analysis of recent tax law updates and the ethical considerations inherent in aggressive tax positioning. Register today!
- Avoid "trapped" basis by choosing the right entity early.
- Convert tax liability into reinvestment capital through cost segregation.
- Structure exits that defer federal tax liability.
- Manage cross-border transactions without triggering FIRPTA withholding.
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Description
In a world of shifting legislative priorities, understanding the nuances of the tax code is essential for effective advocacy and deal structuring. Explore the foundational principles of basis and depreciation, the complexities of "choice of entity" (LLCs vs. S-Corps), and the mechanics of high-value strategies like Section 1031 exchanges and Qualified Opportunity Zones. The course concludes with an analysis of recent tax law updates and the ethical considerations inherent in aggressive tax positioning. Register today!
- Avoid "trapped" basis by choosing the right entity early.
- Convert tax liability into reinvestment capital through cost segregation.
- Structure exits that defer federal tax liability.
- Manage cross-border transactions without triggering FIRPTA withholding.













