By Jade Newburn, Heather Adkerson, Jeffrey Bruns, David Malinger and Matthew McDonald ( January 7, 2019, 1:37 PM EST) -- Private equity real estate funds and other sophisticated investors in U.S. real estate assets may raise capital from foreign investors. To achieve tax structuring objectives for these investors, these investment vehicles are often structured to hold one or more real estate assets in a private real estate investment trust. In many cases, the exit strategy for these investments consists of selling the common shares of the REIT itself, rather than the underlying asset(s), to reduce tax liability for non-U.S. investors upon the sale. A prudent buyer should understand and seek to mitigate the unique risks posed by a REIT share acquisition....
Law360 is on it, so you are, too.
A Law360 subscription puts you at the center of fast-moving legal issues, trends and developments so you can act with speed and confidence. Over 200 articles are published daily across more than 60 topics, industries, practice areas and jurisdictions.