MAA Announces Taxable Composition of 2015 Distributions

22 Jan, 2016, 09:28 ET from MAA

MEMPHIS, Tenn., Jan. 22, 2016 /PRNewswire/ -- Mid-America Apartment Communities, Inc. or MAA (NYSE: MAA) today announces the taxable composition of its 2015 distributions paid to shareholders. The amount of distribution referred to as return of capital is considered by the Internal Revenue Service to be a return of invested capital and is not currently taxable. This amount should be applied to reduce the shareholders' tax cost basis of the related shares. The company did not incur any foreign taxes. The composition presented is applicable to all dividend distributions during 2015. The classifications for 2015 are as follows:

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COMMON STOCK (CUSIP NO. 59522J103)

Record

Dates

Payable

Dates

Cash

Distributions

Per Share

Ordinary Taxable

Distribution

Long-Term

Capital Gains

Return

of

Capital

Unrecaptured Sec. 1250 Gain

1/15/2015

4/15/2015

7/15/2015

10/15/2015

 

1/30/2015

4/30/2015

7/31/2015

10/30/2015

 

$0.7700

$0.7700

$0.7700

$0.7700

 

99.588%

99.588%

99.588%

99.588%

 

0.115%

0.115%

0.115%

0.115%

 

0.000%

0.000%

0.000%

0.000%

 

 

0.297%

0.297%

0.297%

0.297%

 

This release is based on the preliminary work the company has performed on its filings and is subject to correction or adjustment based on the completion of those filings.  The company is releasing information at this time to aid those required to distribute 1099s on the company's dividends.  No material change in the taxable composition is expected.

About MAA MAA is a self-administered real estate investment trust (REIT) and member of the S&P Mid Cap 400 index. MAA currently owns or has ownership interest in apartment communities throughout the Southeast and Southwest regions of the U.S. focused on delivering full-cycle and strong investment performance. For further details, please refer to www.maac.com or contact Investor Relations at investor.relations@maac.com.

Certain matters in this press release may constitute forward-looking statements within the meaning of Section 27-A of the Securities Act of 1933 and Section 21E of the Securities and Exchange Act of 1934. Such statements include those made about the expectation that the company will have no material change in taxable composition of its 2015 distributions. The expectation is based on preliminary work the company has performed on its year end filings and on information currently available.  Unknown risks, uncertainties and other factors may cause actual results, performance or achievements of the company to differ materially from those on which these calculations were based.  Reference is hereby made to the filings of Mid-America Apartment Communities, Inc. with the Securities and Exchange Commission, including quarterly reports on Form 10-Q, reports on Form 8-K, and its annual report on Form 10-K, particularly including the risk factors contained in the latter filing.

SOURCE MAA



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