Reprinted with permission from the August 27, 2018 issue of Tax Notes Federal. ©2018 Tax Analysts. Further duplication without permission is prohibited. All rights reserved.

In this article, Aresh Homayoun discusses the tax risks implicated when a real estate investment trust enters into a dispositional joint venture. He focuses on the prohibited transactions rules under section 857(b)(6) and suggests how to manage and mitigate the tax risks prospectively.

Click here to read the full article in Tax Notes Federal.

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