Property Deemed Held for Development and Was Not a Capital Asset
An often contentious issue for taxpayers who have real estate is determining if a piece of property does or does not represent a capital asset when it is sold. The case of Boree v. Commissioner, 118 AFTR 2d ¶ 20165207, CA11, No.14-15149 posed just such an issue.
There is no question that Mr. Boree initially acquired the land in 2002 with the intent to develop the land and sell the property as over 100 lots. Such a plan will cause the lots to be treated as property held for sale in the ordinary course of business.
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