News: Front Section

Sale of residence exclusion expanded

The newly enacted Mortgage Forgiveness Debt Relief Act of 2007, contains a provision that benefits surviving single spouses. Under prior law, a surviving single spouse who sold the family residence was allowed a $250,000 exclusion on the gain from the sale. This gain was calculated by subtracting the adjusted basis in the property from the sale proceeds. The basis would be the sum of one half the original cost of the home (increased by improvements made to date of sale), plus one half of the decedent's stepped up date of death value of the residence. The calculation of the surviving spouse's basis, including the basis step-up, remains the same. However, the new provision allows a $500,000 exclusion to the single surviving spouse on the sale of the residence. This provision applies to single surviving spouses who sell their homes within two years from the date of death of the spouse. As such, it is possible that a surviving spouse could sell the home two tax years after the spouse died, but more than two years from the date of death, thus making the exclusion only $250,000. For example, if a spouse died March 31, 2008 but the house was sold June 30, 2010 it would be ineligible for the increased $500,000 exclusion. The effective date of this change is for sales occurring after December 31, 2007. The new provision requires that the taxpayer would have otherwise met all the requirements for the previous $250,000 exclusion. These include either spouse owning the home for 2 out of the previous 5 years, both spouses using the home as a residence for 2 out of the previous 5 years and neither spouse has used the exclusion in the prior 2 years. Norman Posner, CPA, managing partner, Samet & Co., Chestnut Hill Mass. Ron Mutascio, CPA MST, also with Samet, contributed to this article.
MORE FROM Front Section

Newmark negotiates sale of 10 Liberty Sq. and 12 Post Office Sq.

Boston, MA Newmark has completed the sale of 10 Liberty Sq. and 12 Post Office Sq. Newmark co-head of U.S. Capital Markets Robert Griffin and Boston Capital Markets executive vice chairman Edward Maher, vice chairman Matthew Pullen, executive managing director James Tribble,
READ ON THE GO
DIGITAL EDITIONS
Subscribe
Columns and Thought Leadership
Make PR pop by highlighting unique angles - by Stanley Hurwitz

Make PR pop by highlighting unique angles - by Stanley Hurwitz

Coming out of the pandemic, a client with three hotels in Provincetown, Mass., needed ways to let the world know his properties were open for business for the 2021 tourist season.
Five ways to ruin a  Section 1031  Like-Kind Exchange - by Bill Lopriore

Five ways to ruin a Section 1031 Like-Kind Exchange - by Bill Lopriore

While there is some flexibility when structuring a like-kind exchange, some important requirements must be met. A mistake can ruin your exchange. Here are five mistakes to avoid:
Four tips for a smooth 1031 Exchange - by Bill Lopriore

Four tips for a smooth 1031 Exchange - by Bill Lopriore

Many real estate investors do not understand the specific requirements that must be met to secure the benefits of a tax-deferred 1031 exchange. For example, the replacement property must be identified within 45 days of the closing date of the relinquished property.
How COVID-19 has impacted office leasing - by Noble Allen and John Sokul

How COVID-19 has impacted office leasing - by Noble Allen and John Sokul

To say that the effects of COVID-19 has transformed office leasing is an understatement. When COVID-19 was at its peak, office spaces were practically abandoned either through governmental mandates or through actions taken by businesses themselves.