While TICs may exist for various reasons, one of the reasons they are utilized is to A) accommodate one or more investors who are investing in a given investment property via 1031 Exchanges and/or B) accommodate one or more investors who plan to continue deferring potential gains in a current investment property through future 1031 Exchanges. A 1031 Exchange is a common term for a Like-Kind Exchange as defined under Section 1031 of the Internal Revenue Code.
In a TIC arrangement, each co-owner, or "tenant in common," owns an undivided interest in a property. Conceptually, it is similar to taking a property, dividing it in parts and then assigning ownership of each part to its tenants-in-common. From a legal and tax planning perspective, TICs are vastly different from a limited liability company (LLC) structure where individuals come together to actively or passively invest a property as either general or limited partners.
One of the common reasons TICs are formed are to enable investors to utilize 1031 Exchanges. The reason that a TIC structure accommodates 1031 Exchanges is because it takes a fraction of a property and makes it “like kind” to an entire property.4 That is meaningful for investors who are seeking to defer gains on an individually-held investment property that they recently sold.
Generally speaking, If an investor sells an individually-held investment property at a profit yet wants to reinvest those proceeds, that investor typically has two options:
1) Pay a capital gains tax on the realized investment and reinvest the net after-tax proceeds in any manner the investor wishes. This could include investing into a real estate partnership or even investing in other asset classes; or
2) Upon sale, the investor could immediately place the sales proceeds with a qualified intermediary, begin a 1031 Exchange, defer the capital gain and reinvest those proceeds on a deferred basis into like-kind property.
If the investor wishes to opt for Option 2, reinvesting proceeds of the sale of an investment property into a partnership structure, as noted above, is not like-kind - it’s exchanging real property for a partnership. This is where TICs come into play.
If the investor has a long time horizon the potential benefits of deferring capital gains over a long time horizon through a series of 1031 Exchanges could be substantial. Over a period of decades, the total invested capital of the investor would potentially equal a multiple of what would otherwise be generated if the investor were to pay capital gains upon each sale and then reinvest the after-tax proceeds into the next property. 1031 Exchanges tend to be a long-term investment strategy.
Tenancy in Common can offer a practical solution for multiple parties to share ownership of real estate. It also offers the potential for an investor to continually defer capital gains achieved through property ownership by follow-on 1031 Exchanges that could include future TIC investments.
The ability to sell a single property (e.g. a single family rental house) and exchange it into an undivided fractional interest in a larger property (e.g. a 200-unit multifamily property) is one of the reasons why investors would seek to utilize a TIC structure as it offers a mechanism for investors to step up into an asset that would, otherwise, remain out of reach.
However, investing in real estate via a TIC comes with specific legal, procedural, and financial responsibilities that all Tenants should carefully consider. In many ways, the investor is typically an active partner in a real estate project, which means that he or she should assume a certain level of responsibility for all potential duties of an active property owner. Ultimately, a TIC structure is a tool that has the potential to offer benefits, particularly over protracted periods of time.
1 https://www.rocketmortgage.com/learn/tenancy-in-common
2, 5 https://andysirkin.com/investment-tics-crowdfunding-securities/an-introduction-to-1031-exchange-tics/
3, 7 https://www.investopedia.com/terms/t/tenancy_in_common.asp
4 https://penncapitalgroup.com/education/real-estate-partnership-structure/
6 https://provident1031.com/can-an-llc-do-a-1031-exchange
8 https://www.jacksonwhitelaw.com/arizona-estate-planning/blog/tenants-in-common-rights-liabilities/