
30 October 2015 | 3 replies
I wish I would have known that I would meet that guy... not because I want an intro to Trump but because if he is able to service clients with that kind of brand recognition and do deals of that magnitude, imagine the deals he says "no" to.

28 January 2018 | 2 replies
. • Great Brand recognition in the local communities. • Excellent growth potential.Asking Price: The Restaurant businesses: $12,750,000 The Real Estate is being marketed by Jones, Lang, LaSalle.

23 August 2017 | 4 replies
And pattern recognition.

10 November 2016 | 8 replies
Some of the facial expressions I get are truly priceless!

14 May 2016 | 11 replies
Rents are increasing as the city is growing and gaining recognition.

10 October 2017 | 6 replies
You defer recognition of the gain and you defer depreciation recapture.

7 July 2017 | 34 replies
Impressions are a great way to create name recognition.

17 May 2011 | 8 replies
Franchise Fee - It is my belief, please tell me if you think otherwise, that none of three have strong enough name recognition where owners/investors/tenants migrate towards them.

9 March 2009 | 2 replies
Maybe have a poster of the month awarded to the poster who gave the most relevant or detailed answers for the last month....I'm sure there is a way to not make it a popularity contest.But I'd like to see recognition(is that spelled right) for BP members who give great and/or detailed answers to questions asked..

12 January 2020 | 5 replies
The California Franchise Tax Board ("FTB") has ruled that certain types of installment sale transactions that have been "structured" or "drafted" pursuant to Section 453 of the Internal Revenue Code ("Code") and have been promoted and used to "save" failed 1031 Exchange transactions will not qualify for tax-deferred treatment in California when used in this manner.California FTB is Aware of Certain Installment ArrangementsThe FTB is aware of certain arrangements in which a 1031 Exchange investor and/or Qualified Intermediary attempt to convert proceeds from the sale of the investor's relinquished property that is part of a failed 1031 Exchange, or any unused proceeds from a partial 1031 Exchange, into an installment arrangement such as an installment note or other similar arrangement in which payments are to be paid out over two or more years.It was made clear by the FTB that these arrangements do not qualify for a deferral of gain recognition under Sections 453 or 1031 of the Code since, among other reasons, these sections and the federal doctrine of constructive receipt do not support such a deferral of gain recognition.These tax-deferred installment sale transaction structures have been promoted under various names over the years, including Private Annuity Trusts, Deferred Sales Trusts, Monetized Installment Sales, Self-Directed Installment Notes, among others.Qualified Intermediaries Put On Notice1031 Exchange Qualified Intermediaries must withhold and remit certain amounts to the California FTB when a 1031 Exchange either fully or partially fails.