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The Buying ProcessThe Buying Process

Foreigners may obtain direct ownership of property in the interior of Mexico. But, under Mexican law, foreigners cannot acquire direct ownership of residential property within the area 100 kilometers from the border and 50 kilometers from the coastline. This area is known as the restricted zone. It is possible, however, to acquire beneficial rights to use, improve, and enjoy property in the restricted zone through a Bank Trust or Fideicomiso authorized by the Mexican Government under the Ministry of Foreign Affairs. Foreigners may obtain direct ownership of property in the interior of Mexico. But, under Mexican law, foreigners cannot acquire direct ownership of residential property within the area 100 kilometers from the border and 50 kilometers from the coastline. This area is known as the restricted zone. It is possible, however, to acquire beneficial rights to use, improve, and enjoy property in the restricted zone through a Bank Trust or Fideicomiso authorized by the Mexican Government under the Ministry of Foreign Affairs. Иностранцы могут приобрести недвижимость и получить прямое владение собственностью на территории Мексики, но согласно мексиканскому законодательству, иностранцы не могут получить прямое владение жилой недвижимостью на расстоянии 100 км от границы и в 50 км от береговой линии. Эта зона называется “граничной зоной”. Вы можете иметь все права и безлимитно использовать и наслаждаться купленной недвижимостью, приобретя Банк Траст .. The Fideicomiso is established for a 50 year renewable term and grants the beneficiary the right to use, rent, modify, or sell the property. Two advantages of the bank trust are avoidance of probate and transfer tax upon sale. Property acquired for commercial use by foreigners may be owned without the need for a bank trust, provided that the property is held in a Mexican corporation. Depending on the type of business, it is often possible for a foreigner to own 100% of the Mexican corporation.

In a typical transaction, a preliminary sales agreement will be used. This is like an agreement to agree and is subject to a formal sales agreement which will be executed at closing. The preliminary agreement should provide for a price and terms and a closing date conditioned on the issuance of the trust permit if necessary. Real estate transactions in Mexico are “closed” by a Notario Publico, an official, highly respected government officer who validates transactions on Real Estate. Among other things, the notary is responsible for formalization of the final real estate contract, collection of transfer and capital gains and recordation of the transfer with the Public Registry. The notary is not your lawyer, however, and as with any investment, you may want to seek independent Mexican legal counsel before proceeding.

Although American title insurance is available for Mexican real estate whether acquired directly or through a trust, it is not strictly necessary since under Mexican laws once a Title is reordered at the Public Registry of Property it can not be challenged or contested. One of the major American Title companies used is Stewart Title. The cost of the insurance depends on whether the property you are purchasing is covered by a master title commitment. The seller of the property should have this information. A foreigner interested in acquiring real estate in Mexico should take care to follow all of the formalities under Mexican law. We will inform you to what these are. We will recommend competent legal, tax, and other professional advice as you need. If you still need a few questions answered about how it works, please call me or e-mail me. I will be happy to go over it personally. The Fideicomiso is established for a 50 year renewable term and grants the beneficiary the right to use, rent, modify, or sell the property. Two advantages of the bank trust are avoidance of probate and transfer tax upon sale. Property acquired for commercial use by foreigners may be owned without the need for a bank trust, provided that the property is held in a Mexican corporation. Depending on the type of business, it is often possible for a foreigner to own 100% of the Mexican corporation.

In a typical transaction, a preliminary sales agreement will be used. This is like an agreement to agree and is subject to a formal sales agreement which will be executed at closing. The preliminary agreement should provide for a price and terms and a closing date conditioned on the issuance of the trust permit if necessary. Real estate transactions in Mexico are “closed” by a Notario Publico, an official, highly respected government officer who validates transactions on Real Estate. Among other things, the notary is responsible for formalization of the final real estate contract, collection of transfer and capital gains and recordation of the transfer with the Public Registry. The notary is not your lawyer, however, and as with any investment, you may want to seek independent Mexican legal counsel before proceeding.

Although American title insurance is available for Mexican real estate whether acquired directly or through a trust, it is not strictly necessary since under Mexican laws once a Title is reordered at the Public Registry of Property it can not be challenged or contested. One of the major American Title companies used is Stewart Title. The cost of the insurance depends on whether the property you are purchasing is covered by a master title commitment. The seller of the property should have this information. A foreigner interested in acquiring real estate in Mexico should take care to follow all of the formalities under Mexican law. We will inform you to what these are. We will recommend competent legal, tax, and other professional advice as you need. If you still need a few questions answered about how it works, please call me or e-mail me. I will be happy to go over it personally.(Fideicomiso)

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