Subsection 74.4(2) - Transfers and loans to corporations

Administrative Policy

7 October 2020 APFF Roundtable Q. 15, 2020-0852271C6 F - Corporate attribution rules

Mr. X and Mrs. X, each owning 50% of the common shares of corporation that is not a small business corporation, effect a s. 51 exchange of their...

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27 October 2020 CTF Roundtable Q. 10, 2020-0860961C6 - Refreeze and 74.4(2)

CRA confirmed that where an individual exchanges preferred shares received in the course of a previous estate freeze for newly-issued preferred...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 74.4 - Subsection 74.4(3) a refreeze does not reduce the outstanding amount 254

11 October 2019 APFF Roundtable Q. 16, 2019-0812751C6 F - 74.4(2) and 120.4 interaction

Mr. X effects an estate freeze in favour of a family trust (entailing a s. 51 exchange by him of his shares of Holdco, which is not a small...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 74.4 - Subsection 74.4(2) - Paragraph 74.4(2)(g) only s. 74.4(2)(g) provides relief from the joint application of the TOSI and s. 74.4(2) rules 252

6 October 2017 APFF Roundtable Q. 9, 2017-0709071C6 F - Corporate Attribution Rules

As a result of a previous estate freeze, A holds the voting freeze preferred shares of Opco (which is not a small business corporation) and a...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 74.5 - Subsection 74.5(5) unborn children and spouse not designated persons re freezer trust 231

May 2016 Alberta CPA Roundtable, Income Tax Q.9

When asked to comment on factors taken into account in deciding if “one of the main purposes” of a transfer or loan is reasonably considered...

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Words and Phrases
one of the main purposes

8 December 2015 External T.I. 2015-0613401E5 F - Attribution Rules

1st Situation. Mr. and Ms.X are the sole shareholders of Opco and Holdco, respectively. Opco uses excess liquidity to subscribe for preferred...

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11 December 2015 External T.I. 2015-0601561E5 F - Attribution Rules

1st Situation. Mr. X instigates an estate freeze for his corporation (Opco), which is a small business corporation (“SBC”) and all of whose...

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2 June 2015 External T.I. 2015-0570071E5 F - Attribution Rules Trust

Result of 1st freeze

Trust A (an inter vivos personal trust) holds all the common shares of Opco (a CCPC but not a small business corporation) and...

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10 October 2014 APFF Roundtable Q. 19, 2014-0538041C6 F - 2014 APFF Roundtable, Q. 19 - Stock dividend

Mr. X holds all 100 of Opco's Class A shares with a fair market value of $1,000,000 and nominal ACB and PUC. Opco pays a stock dividend comprising...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 15 - Subsection 15(1.1) not engaged if stock dividend is proportional 211
Tax Topics - Income Tax Act - Section 55 - Subsection 55(2.1) - Paragraph 55(2.1)(c) SI apportionment to stock dividend prefs 251
Tax Topics - Income Tax Regulations - Regulation 6205 - Subsection 6205(2) purpose test in Reg. 6205(2)(a) is not necessarily accomplished by all estate freezes/"arrangement" broad 413

19 September 2011 External T.I. 2011-0410411E5 F - Attribution - Transfers to Corporations

Holdco's Active Shareholders set up a corporate asset protection structure and introduced certain key employees into the shareholding structure,...

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1 April 2003 External T.I. 2003-0004125 F - Freeze by Paying a Stock Dividend

In Situation 1, Mr. A holds all the shares of Opco, being 100 common shares having an FMV of $800,000. Opco declares and pays to Mr. A a stock...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 15 - Subsection 15(1.1) s. 15(1.1) inapplicable to stock dividend paid to wholly-owning shareholder 98
Tax Topics - Income Tax Act - Section 69 - Subsection 69(1) - Paragraph 69(1)(b) imputed disposition to which s. 69(1)(b) applied where common shares issued at undervaluation to children’s trust 131
Tax Topics - General Concepts - Effective Date price-adjustment clause to redemption value of preferred shares did not accord with IT-169 183

1 March 2001 External T.I. 2001-0067725 - 74.4 and estate freezes

Subject to s. 74.4(4), the provisions of s. 74.4(2) will apply to a typical estate freeze whether it utilizes s. 85(1) or s. 86.

28 January 1997 External T.I. 9635055 - attribution under 74.4(2) if 74.1(1) and 74.2(1) apply

"In a situation where subsections 74.1(1) and 74.2(1) of the Act apply to attribute to an individual the income or loss from transferred property...

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20 March 1995 External T.I. 9429925 - 74.4(2) AND AMALGAMATION

Where a holding company amalgamates with its operating subsidiary, there will be considered to be a "transfer of property" to the amalgamated...

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12 October 1994 External T.I. 9411485 - SECTION 74.4 - SMALL BUSINESS CORPORATION

"Technically the application of subsection 74.4(2) of the Act could change from time to time if a corporation moved from being a small business...

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11 May 1994 External T.I. 9130715 - TRANSFER OF PROPERTY RE 74.4(2) AMALGAMATION

Where a corporation ("A") owned by an individual amalgamates with a second corporation ("B") owned by a trust for the benefit of the individual's...

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17 February 1994 External T.I. 9401115 - ATTRIBUTION CONTROL CO INVEST IN PREF SHARE OF 2ND CO

S.74.4(2) would not apply where a corporation (as opposed to an individual) transfers or loans property to another corporation unless an...

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26 January 1994 External T.I. 9329955 F - Subsections 74.4(2) and 74.5(7) of the Income Tax Act

Where one's spouse guarantees a bank loan made to an investment company owned equally by both spouses, s. 74.5(7) will not permit the interest...

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30 March 1993 T.I. (Tax Window, No. 29, p. 23, ¶2454)

There is no provision for a reduction in the amount of attributed income where the income actually earned by the corporation is less than the...

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92 C.R. - Q.34

The transferee corporation in s. 74.4(2)(c) is required not only to be a small business corporation at the time of the transfer, but also...

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21 August 1992 T.I. (Tax Window, No. 23, p. 24, ¶2154)

Any rights or dividend entitlements attached to preferred shares held by an individual would not by themselves be indicators that a particular...

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27 June 1991 Memorandum (Tax Window, No. 4, p. 13, ¶1320)

Discussion of the application of the main purpose test where an individual transfers shares of an operating company to a holding company and those...

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11 June 1991 T.I. (Tax Window, No. 4, p. 29, ¶1298)

The fact that the property transferred to the corporation does not produce income (e.g., it is vacant land) may be an indication that the...

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2 November 1990 T.I. (Tax Window, Prelim. No. 2, p. 14, ¶1080)

The purpose test in s. 74.4(2) must be applied separately to each transfer of property, with the result that imputed income on a transfer which...

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30 January 1990 Memorandum (June 1990 Access Letter, ¶1263)

The receipt by an individual (who some years earlier had effected an estate freeze) of a stock dividend on his preferred shares did not entail a...

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ATR-36 (4 Nov. 88)

A favourable ruling is given with respect to an estate freeze involving a trust which will provide that "no amounts will be paid or payable to or...

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86 C.R. - Q.42

A s. 86(1) reorganization always involves a transfer of property (i.e., shares) to a corporation.

Articles

Emes, "Planning for Immigration to Canada from Countries other than the United States", 1993 Corporate Management Tax Conference Report, c. 13.

Discussion of immigrant trusts.

Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 56 - Subsection 56(4.1) 4

Paragraph 74.4(2)(a)

Administrative Policy

26 November 2021 CTF Roundtable Q. 5, 2021-0911821C6 - Corporate Attribution

A resident individual transfers $100 to Trust (whose beneficiaries include minors, i.e., “designated beneficiaries”), which uses the $100 to...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 74.4 - Subsection 74.4(4) - Paragraph 74.4(4)(a) s. 74.4(4)(a) exception does not apply where the indirect transfer is to a subsidiary of the trust-owned corporation 145
Tax Topics - Income Tax Act - Section 248 - Subsection 248(1) - Specified Shareholder - Paragraph (e) beneficiaries of a discretionary trust were specified shareholders of a grandchild trust subsidiary 55

18 July 2006 External T.I. 2005-0162181E5 F - Subsection 74.4(2)

CRA indicated that Ms. B (the common law partner of Mr. A) would be a specified shareholder of Aco (held by her and Mr. A as to 9% and 91% of the...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 248 - Subsection 248(1) - Specified Shareholder 9% shareholder of corporation otherwise held by her spouse becomes a specified shareholder if she wholly-owns a second corporation 45

Paragraph 74.4(2)(g)

Administrative Policy

11 October 2019 APFF Roundtable Q. 16, 2019-0812751C6 F - 74.4(2) and 120.4 interaction

CRA rejected the proposition that the main purpose test in s. 74.4(2), and thus the rule itself, should not apply to an estate freeze transaction...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 74.4 - Subsection 74.4(2) main purpose test can still apply even where designated persons are subject to TOSI 295