Skip to main content
Tax Update

Application of Pre-Tax Cuts and Jobs Act Section 1031 of the Internal Revenue Code to Exchanges of Certain Cryptocurrencies

July 8, 2021
On June 18, 2021, the Internal Revenue Service (the IRS) Office of Chief Counsel released Memorandum 202124008 addressing the application of Internal Revenue Code (Code) Section 1031 to exchanges of certain cryptocurrencies that occurred prior to the Tax Cuts and Jobs Act (TCJA). The TCJA, P.L. 115-97, amended Section 1031 of the Code to provide that like-kind exchange treatment applies only to real property. The memorandum addressed the following question: If completed prior to January 1, 2018, does an exchange of (i) bitcoin for ether, (ii) bitcoin for litecoin, or (iii) ether for litecoin (each a Described Exchange) qualify as a like-kind exchange under Section 1031 of the Code? The IRS concluded that each Described Exchange did not qualify as a like-kind exchange under Section 1031 of the Code. 

Attorney Advertising—Sidley Austin LLP is a global law firm. Our addresses and contact information can be found at www.sidley.com/en/locations/offices.

Sidley provides this information as a service to clients and other friends for educational purposes only. It should not be construed or relied on as legal advice or to create a lawyer-client relationship. Readers should not act upon this information without seeking advice from professional advisers. Sidley and Sidley Austin refer to Sidley Austin LLP and affiliated partnerships as explained at www.sidley.com/disclaimer.

© Sidley Austin LLP

Contacts

If you have any questions regarding this Sidley Update, please contact the Sidley lawyer with whom you usually work, or

Offices