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Cost
Segregation Studies
and 1031 Exchanges
Coming from my background as a CPA,
and making my living in the real estate industry, I’m
amazed that more of my clients don’t have cost
segregation studies done on their properties. If you
are one of the vast majority of property owners who’ve
never heard of a cost seg study (as they are called),
or don’t know what one is, you should take a
look at this great tax benefit.
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by Gary Gorman
founding partner, 1031 Exchange Experts, LLC |
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In any type of building, residential
or commercial, there are real estate components, such
as the structure itself, and there are personal
property components. Personal property is
the IRS term for items that are “movable” such
as light fixtures, carpeting and window coverings.
These type of personal property items are generally
depreciated over 5 or 7 years, while the real estate
components, the buildings themselves, are generally
depreciated over 27.5, years (if the building is a
residential structure such as an apartment building),
or 39 years (if the building is a non-residential structure
such as an office building).
What a cost seg study does is analyze
the building and make a detailed allocation between
the longer-life structural components of the building
and the shorter-life personal property components.
The benefit in doing this is the tax savings of recovering
your investment faster by having more of the building
allocated to items that are depreciated quicker.
For example, if you own an office
building that you paid $10 million for, your annual
depreciation deduction will run about $256,000 ($10,000,000/39),
and if you’re in the 35% bracket, your actual
tax savings would be about $90,000.
Assume that you had a cost seg study
performed on the building, and 20% of the structure
was determined to be personal property with a life
of 7 years. Now, your annual depreciation deduction
on the personal property would be $286,000 ($2,000,000/7)
and the revised annual depreciation deduction on the
building would be $205,000 ($8,000,000/39), for a total
depreciation deduction of $491,000, and a tax savings
of almost $172,000. Your actual would even be substantially
greater if you double the depreciation on the personal
property (which you’re allowed to do). In summary,
a cost seg study, using my example, would have saved
you in excess of $80,000 the first year alone.
So, how does the IRS feel about cost
seg studies? While you’d think that they would
be against them, the truth is that they encourage them.
The reason is that most property owners arbitrarily
set a percentage of the property as being personal
property. This unsubstantiated percentage creates headaches
for the IRS when they audit the property because, while
everyone understands that a building contains personal
property elements, the IRS can allow the allocation
only if it is substantiated, which an arbitrary allocation
is not. Cost seg studies, on the other hand, are typically
performed by engineers who then prepare a final report
which gives the building owner (as well as the IRS)
the substantiation they need.
How do cost seg studies inter-play
with 1031 exchanges? Most often the cost seg study
is performed on the New Property after its purchase
to complete the exchange. While I get a number of calls
from clients worried about how an adjustment of the
real vs. personal property allocations will affect
their exchange, the answer is not at all if the cost
seg study is undertaken after the New Property has
been purchased.
The real problem affecting cost seg
studies and 1031 exchanges happens if a cost seg study
is performed on the Old Property immediately before
the sale. This would create two potential problems:
the first is that if there is significant personal
property on the depreciation schedule at the time of
the sale, the taxpayer would have to acquire an equal
(or greater) amount of similar personal property on
the purchase of the New Property. The second potential
problem is that if a value greater than the undepreciated
book value is allocated to the personal property in
the sale, you would trigger depreciation recapture,
which will be taxable, even though the property was
subject to a 1031 exchange.
As a practical matter, while some
technicians worry about these two events, in the real
world I’ve never seen either event materialize – the
first because owners contemplating the sale of a property
in the near future would never incur the expense of
a cost seg study (they’d wait and incur the expense
on the purchase of the New Property) – the second
because the residual value of the personal property,
at the time of the sale, is considered insignificant
and rarely valued separately.
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