Tennessee Code Annotated
Tenn. Code Ann. § 66-32-103 (2026)
Nature of time-share estates - Recordation
✓ current as of May 2026
- (a) A "time-share estate" is an estate in real property and has the character and incidents of an estate in fee simple at common law or estate for years, if a leasehold, except as expressly modified by this part. This shall supersede any contrary rule at common law.
- (b) Each time-share estate constitutes for purposes of title a separate estate or interest in property except for real property tax purposes.
- (c) A document transferring or encumbering a time-share estate in real property may not be rejected for recordation because of the nature or duration of that estate or interest.
Acts 1981, ch. 372, §§ 3, 4; T.C.A., §§ 64-3203, 64-3204.
Notes of Decisions
Cited in 1
case, 2015–2015 · leading case: Nathan B. Overton v. Westgate Resorts, LTD., L.P. (Tenn. Ct. App. 2015).
Nathan B. Overton v. Westgate Resorts, LTD., L.P. (Tenn. Ct. App. 2015). “As our Supreme Court has explained, once a defendant has been 2 W estgate did not violate Tennessee Code Annotated § 47-18-104(b)(5) because a timeshare interest is an estate in real property, see Tennessee Code Annotated § 66-32-103, and is not a good or service as defined in…”
Annotations are extracted automatically from the opinions in the
Syfert caselaw corpus and ranked by authority, recency, and
treatment. Dots show Syfertize treatment of the citing case itself.