Tenancy where the tenant continues leasing for an undetermined amount of time and generally on a period basis, such as month to month. At the tenant’s discretion, the landlord is notified that they will be discontinuing the lease.
Tenancy at will: Both the landlord and tenant have the right to terminate the lease at any time, as long as notification is provided.
Tenancy at sufferance: Basically, the tenant has overstayed their welcome. The tenant wrongfully remains on the property (or in possession) after the lease has expired or been terminated.
Any two assets or properties that are considered to be the same type under federal income tax law, making an exchange between them tax deferred. Like-kind real estate property is basically any real estate that is not held for personal use, including a second home which is held for investment purposes. Following the Tax Cut and Jobs Act of 2017, like-kind property is limited to real property.
Mortgage Boot occurs when the Exchanger does not acquire debt that is equal to or greater than the debt that was paid off, and is therefore ‘relieved’ of debt, which is perceived as taking a monetary benefit out of the exchange. Therefore, the debt relief portion is taxable, unless offset by adding equivalent cash to the transaction.
Qualified Intermediary: Also called: intermediary, QI, accommodator, facilitator, or qualified escrow holder. The QI is a third party that holds exchange funds and helps to facilitate the exchange.
Net square footage (NSF) is the usable or “rentable” area of a specified space (e.g., a suite, floor, or an entire building). This measurement generally excludes non-rentable areas such as common areas, hallways, and mechanical rooms. As an example calculation, if a building consists of 100,000 Gross Square Feet, and 10,000 square feet are utilized as lobbies and hallways, then the Net Square Footage of the building would be 90,000 square feet. Gross square footage (GSF) contains all areas of the building, including maintenance areas, walkways, balconies, attics, common areas, and any walkable area of the building. Parking lots and pools are not included in GSF. GSF is mostly used in construction cost budgeting.
Percentage lease is a lease in which a tenant pays percentage rent in lieu of, or in addition to, base rent. The amount is typically determined by a formula tied based on a percentage of gross sales made by the tenant. A percentage lease is almost exclusively utilized in retail properties, particularly shopping malls and other large multi-tenant centers. The rationale is based on the premise that the center itself is a draw for customers who are inclined to shop at multiple stores during a visit to the center, thus tenants benefit, and their sales should theoretically increase due to their location within the center.
Property rights give property owners the right to do with their property what they chose. Property can be land, a car, a house, a pet, or a phone. Property can be transferred to another owner, sold, or rented out for a profit. It can also be inherited. Property can be private or public. It can be owned by an individual, business, group, or government.
Short for “flexible”, flex properties are typically considered a subsect of industrial properties that contain a higher percentage of office buildout than traditional industrial space. Flex properties generally contain 25% or greater office buildout and as such, typically have higher parking ratios than industrial warehouse buildings. Flex is a broad term which can be applied to a variety of specific uses including research and development, light manufacturing and/or assembly, small distribution centers, retail or office showroom space, tech uses or call centers. Examples of flex space may include a repair business with offices in one part of the building and repair/“floor” space in another or kitchen showroom which has displays in the front part of the building and storage and offices in the back. Note that since flex is a broad term, it is not as clearly defined as other properties types and may include or exclude specific usages depending on the market or organization in which the term is used. Flex space generally doesn’t include common areas, which decreases rents for tenants. The tenant leases only space that they’ll use. Because the space is stripped down, tenants are able to build it out into virtually use. This can range from a showroom to a laboratory. Additionally, tenants can add custom features, including an HVAC, security, and set operating hours. Flex spaces are leased short-term (monthly) or middle term, going from 3-5 years. These shorter leases are beneficial to rapidly growing businesses. As a business expands, it can move out of one flex space and into a larger one, building the new space out to fit their business. Flex spaces can be as large as 60,000 square feet.
Industrial property type is one of the four main asset classes of commercial property, which is typically used for the purpose of production, manufacturing, or distribution.
A real estate rollover is a type of property exchange that allows the investor to roll their gains over into like-kind property. This transaction is called a 1031 exchange. Because gains from the relinquished property are rolled into the acquired property, taxes on those gains are deferred. Deferred doesn’t mean the gains have evaporated, and the investor won’t have to ever pay taxes on them. It means that until the investor liquidates the property, they can continue to defer taxes on gains. Down the road, the investor can utilize another 1031 exchange to acquire more like-kind property and keep deferring the original gains in the process. A 1031 exchange tax deferment doesn’t mean the investor is dodging taxes or somehow getting away with not paying taxes. Once the property is liquidated, the IRS will come calling for their share of taxes due. Using a 1031 exchange, real estate owners can reinvest their profits from the sale of income-producing properties into other similar income-producing properties while deferring the taxes. In a way, the 1031 exchange tax deferment component is similar to that of the 401(k) tax deferment. Investors contribute to their 401(k) using tax-free dollars. It’s not until they begin taking distributions (i.e., liquidating the 401(k)) that they realize taxable gains. Just as a 401(k) allows investors to push their tax bill out by decades, so too does the 1031 exchange.
Real property is land, and generally whatever is erected or affixed to the land, such as buildings, fences, and including light fixtures, plumbing.
The original property given up by the investor which is sold by the qualified intermediary. This property is sometimes also referred to as the sale, “downleg” or “Phase I” property.
Rentable Square Footage equals the usable square footage plus the tenant’s pro rata share of the building common areas, such as lobbies, public corridors and restrooms. As an example, calculation, if a tenant’s useable square footage is 10,000 square feet which accounts for 7% of all useable square footage in a building. If the building has 15,000 of common areas, then the tenant’s rentable area is 11,050 square feet (10,000 useable square feet plus 7% of the 15,000 square foot common area). Multi-tenant buildings with common areas such as office buildings and retail centers may charge base rent on rentable square footage and/or collect CAM reimbursements based on rentable square footage since the tenant benefits from the use of the common areas which also incur expenses.
The like-kind property to be acquired or received by the investor from qualified intermediary’s purchase from the seller in a tax-deferred exchange transaction. This property is sometimes also referred to as the purchase, “upleg” or “Phase II” property.
A reverse 1031 Exchange represents a tax deferment strategy when for a variety of reasons, the replacement property must be purchased before the relinquished or old property is sold. It is more complex than a forward 1031 Exchange and requires careful planning.
This allows investors to relinquish and close on a replacement property in the same day. Originally, this is what a 1031 exchange was: a direct exchange between two parties. This type of exchange is not very common.
In the context of real estate partnerships, a sponsor is an individual or company in charge of finding, acquiring, and managing the real estate property on behalf of the partnership. In the context of a Delaware Statutory Trust (DST), the sponsor is the entity that has created the DST and solicited investors. The Sponsor of a DST will typically act as Signatory Trustee for the DST as well as maintain control over the Master Tenant. Sponsors can put together their deals and promote them, or they may work with a platform/marketplace that seeks out sponsors/deals. The difference between going direct to a sponsor vs. a platform is that the latter provides some independent verification. Platforms perform various due diligence on their sponsors before deciding to list any of their deals. Platforms and sponsors may also form a relationship that is based on the sponsor’s track record. When going to a sponsor directly, there is more heavy lifting for the investor since they’ll need to do all of the necessary due diligence. In addition to the responsibilities mentioned above, the sponsor will arrange financing for a deal. Specifically, with DSTs, there is only one borrower since DST investors do not secure any financing for the deal. This makes putting together financing much simpler than a tenants-in-common deal structure, where individual investors must obtain or be approved for financing. Sponsors are also called GPs or general partners. Besides direct investors in the deal, the sponsor may have other investors involved in the GP side of the deal. Sponsors put in a small amount of their capital for each deal. To continue putting together more deals, the sponsor may need to raise capital for each deal’s GP. This is where additional GP investors come in — these investors supplement the sponsor’s capital so that a deal can move forward. The sponsor will see the deal through from start to finish. This includes creating the deal and terminating it through a sale or dissolution (i.e., bankruptcy).
Tax-Optimized Real Estate® is a proprietary investment process that seeks to maximize an individual investor’s long-term after-tax cash flow and total returns on commercial real estate within their risk tolerance and unique tax situation.
The estimated or actual cap rate of a property on the date of disposition or sale. Also known as the exit cap rate and the reversionary cap rate. The terminal cap rate is a metric used to estimate an investment property’s gross value at the sale (i.e., end of the holding period). The terminal cap rate is also an important metric in determining the resale price of a property. The resale price is used for determining potential capital gains and the return on the property. It is calculated by dividing the expected net operating income (NOI) by the expected sale price and is expressed as a percentage. For example, if the NOI in the year of sale (or the following year) is $450,000 and the expected sale price is $7,000,000, then the terminal cap rate would be 6.43% (NOI of $450,000 divided by $7,000,000 sale price). In practice, the terminal cap rate is more typically applied to the estimated NOI in order to estimate terminal value. Using a similar example, if an investor applied a 6.5% terminal cap rate to an estimated NOI of $450,000, then the projected terminal value would be $6,923,077 (NOI of $450,000 divided by the terminal cap rate of 6.5%). The formulas used in the previous paragraph are based on the direct income capitalization approach. When using this approach, a lower terminal cap rate means a higher resale value. There is an indirect relation between the terminal cap rate and sale value. As an example, if the above cap rate were 6%, the resale would be $450,000/.06 = $7.5 million. If the cap rate increases, the sale value will fall.
The Three Property Rule is defined under IRC Section 1031, which states that an exchanger or taxpayer executing a delayed exchange has 45 calendar days from the closing date of the sale of their relinquished property to formally identify a replacement property or properties. Under the Three Property Rule the exchanger may identify up to three properties, regardless of value, as long as he or she acquires one of the three as the replacement property within the 180-day exchange period. Using the Three Property Rule, an investor doesn’t have to worry about the identified properties’ fair market value. If, on the other hand, the investor wants to identify more than three properties, the Three Property Rule no longer applies, and they will slip into the 200% Rule. This rule states that the identified properties’ aggregate value cannot exceed more than 200% of the relinquished property’s value. When you’re trying to trade up in value, the Three Property Rule is more applicable. If you are trying to diversify across many properties (more than three), the 200% Rule comes into play. You can still diversify by using the Three Property Rule. The Three Property Rule doesn’t mean you have to exchange into just one property. You can exchange into up to three properties. These properties can all have a much higher value than the relinquished property as well. For example, if the relinquished property’s value is $500,000, you can exchange into three $10 million properties. Just keep in mind that it is more advantageous to exchange into properties that are of equal or greater value. The taxpayer can revoke a property from their list of identified properties. There is no limit on how many times they can add or remove properties from the list, just as long as the list is finalized within the 45-day timeframe.
Useable square footage is the space that is actually occupied by a tenant, typically equal to the size of the tenant’s suite, without deductions for columns or other structural elements. Useable square footage may differ from rentable square footage which accounts for a tenant’s share of common area. For instance, an office tenant may occupy 25,000 useable square feet on a floor with 100,000 total useable square feet plus 10,000 square feet of corridors, bathrooms, and other common areas. To calculate useable square footage in this case, there is a 10% floor common area factor (100,000 useable square feet plus 10,000 square feet common areas equals 110,000 rentable square feet divided by 100,000 useable square feet). Thus, the tenant may pay rent on 110% of their useable square footage, or 27,500 square feet in this case. Note that common area factors may apply to both individual floors as well as the building as a whole – this is known as the load factor. Office and retail properties often charge rent and/or charge CAM reimbursements based on rentable square footage as the tenants benefit from common space usage.
Cost approach valuation is a real estate valuation method that bases a property’s market value off the cost it would take to build an equivalent structure. The cost approach takes into account the cost of land plus the cost of construction, less depreciation. Similar to its counterparts, the cost approach may have other forces that prove it inaccurate. For example, if vacant land is not available to compare against, the professional valuing the property will have to derive an estimate, making the end value less accurate. There are two main methods of using the cost approach: the replication method and replacement method. The replication method assumes that a replica of the property is built using the same materials with the same pricing. The replacement method assumes the new building has similar function, but with an updated design, utilizing newer materials and current construction techniques.
Sales comparison valuation is a real estate appraisal method that estimates a property’s value by comparing it against other properties with similar attributes that have been sold recently. This approach considers all of the individual features of a property, adjusting the value to reflect a sum of all the property’s features. A sales comparison approach may be used to evaluate both commercial and residential property. For example, a broker is tasked with establishing the value of a 4 BD/3 BA home built in 2016 in Austin, Texas. Looking to other homes with the same number of bedrooms and bathrooms within the same school district, the broker has established a base price of $480,000. Newer, and with a bigger backyard than its comparables, the broker feels as though the price should be adjusted upwards to account for these two favorable attributes. After looking at pricing of land, as well as premiums on properties built within the last two years, the broker concludes that the fair market value of the home should be $510,000.