Subsection 84.1(1) - Non-arm’s length sale of shares

Cases

Wild v. Canada (Attorney General), 2018 FCA 114

Mr. Wild stepped up the adjusted cost base of his investment in a small business corporation (PWR) by transferring his PWR common shares to two...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 245 - Subsection 245(4) surplus-stripping transactions were not subject to GAAR before the surplus had in fact been stripped 377

Fiducie famille Gauthier v. Canada, 2012 FCA 76, aff'g 2011 DTC 1343 [at 1917], 2011 TCC 318

The taxpayer, a family trust, made a non-arm's-length sale of shares to a numbered corporation ("4041763 or "404") for a promissory note of...

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Locations of other summaries Wordcount
Tax Topics - General Concepts - Fair Market Value - Shares 258

Canada v. Olsen, 2002 DTC 6770, 2002 FCA 3

The taxpayer transferred shares of a corporation ("Leader") to corporations controlled by the taxpayer's children and spouses in consideration for...

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See Also

Crean v Canada (Attorney General), 2019 BCSC 146

The executed documents indicated that an individual (Thomas) sold his shares of a corporation (Crean Holdings) to the Newco of his brother...

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Locations of other summaries Wordcount
Tax Topics - General Concepts - Rectification & Rescission a sale agreement rectified to turn it into a 2-step sale that no longer generated a s. 84.1 dividend 325

1245989 Alberta Ltd. v. The Queen, 2017 TCC 51, rev'd sub nom. Wild v. Canada, 2018 FCA 114

In order to protect the assets of an Alberta an oil field rental company (“PWR”), whose sole shareholder was Mr. Wild and whose shares of PWR...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 245 - Subsection 245(4) use of PUC-averaging rule to bump outside PUC was abusive 273
Tax Topics - Income Tax Act - Section 245 - Subsection 245(5) assessment of PUC without current income effect 34

Poulin v. The Queen, 2016 TCC 154, briefly aff’d sub nomine Turgeon v. The Queen, 2017 FCA 103

CRA successfully applied s. 84.1 to a transaction in which one of the two major shareholders of a Quebec CCPC (Mr. Turgeon) agreed to sell some...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 251 - Subsection 251(1) - Paragraph 251(1)(c) sale to the special-purpose Holdco of an independent employee was essentially a surplus-stripping transaction rather than an arm’s length sale 635

Fiducie Famille Gauthier v. The Queen, 2011 DTC 1343 [at 1917], 2011 TCC 318, aff'd 2012 FCA 76

The taxpayer, a family trust, made a non-arm's-length sale of shares to a numbered corporation for a promissory note of approximately $2.6...

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Words and Phrases
consideration
Locations of other summaries Wordcount
Tax Topics - General Concepts - Substance 233

Estate of the late Donald Mills v. The Queen, 2010 DTC 1301 [at 4078], 2010 TCC 443, aff'd 2011 DTC 5124, 2011 FCA 219

The taxpayer exchanged shares for a promissory note. Under s. 84.1(1)(b), the receipt of the promissory note resulted in a deemed dividend. The...

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McMullen v. The Queen, 2007 DTC 286, 2007 TCC 16

The taxpayer and an unrelated individual ("DeBruyn") accomplished a split-up of the business of a corporation ("DEL") of which they were equal...

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Lloyd v. The Queen, 2002 DTC 1493 (TCC)

Although the taxpayer signed an agreement with a holding company for the sale of shares in a company ("READ") to the holding company, Bowman...

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Locations of other summaries Wordcount
Tax Topics - General Concepts - Effective Date taxpayer can attack own transaction as legally ineffective 138
Tax Topics - General Concepts - Tax Avoidance taxapyer can argue legally ineffective transactions 139
Tax Topics - Income Tax Regulations - Schedules - Schedule II - Class 1 - Paragraph 1(q) 70

Administrative Policy

7 October 2022 APFF Roundtable Q. 8, 2022-0942151C6 F - Surplus stripping

In order for Brother to avoid the application of s. 84.1 to a sale of his shareholding of Opco (representing ½ of its common shares) to a...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 256 - Subsection 256(5.11) range of factors considered 182
Tax Topics - Income Tax Act - Section 245 - Subsection 245(2) permissible use of sale through subsidiary to avoid s. 84.1 85

7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 8, 2021-0899701C6 F - Post-mortem planning - Pipeline

In order to implement pipeline planning, the estate of an individual ("Estate") generally incorporates a new corporation ("Newco") to which it...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 84 - Subsection 84(2) a pipeline transaction can use an existing corporation rather than a Newco 187

2021 Ruling 2020-0868661R3 F - Section 84.1 – Leveraged Buyout

Background

Holdco (a.k.a. Gesco) holds real estate which it leases to Opco, which carries on an active business in Canada. Mr. X (an investor),...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 251 - Subsection 251(1) - Paragraph 251(1)(c) ruling that buyout was an arm’s length transaction 123

29 November 2016 CTF Roundtable Q. 6, 2016-0669661C6 - 84.1 and the Poulin/Turgeon Case

CRA largely repeated a statement made at the 2016 APFF Roundtable, Q.20 (also in response to the Poulin decision) respecting employee buyco...

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7 October 2016 APFF Roundtable Q. 20, 2016-0655831C6 F - Employee Buycos and the Poulin Case

CRA accepts the finding in Poulin that the structuring of a sale transaction so that the vendor secured a tax advantage (the capital gains...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 251 - Subsection 251(1) - Paragraph 251(1)(c) Poulin distinction between accommodation parties and tax advantaged arm’s length dealings accepted 188

2 May 2016 External T.I. 2016-0633351E5 F - Descarries Case and Document no. 2015-0610711C6

In rejecting a submission that 2015-0610711C6 had improperly reversed 2005-0134731R3 F on the basis that the purpose of section 84.1 is only “to...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 245 - Subsection 245(4) Descarries not to be construed narrowly 176

24 November 2015 CTF Roundtable Q. 11, 2015-0610711C6 - Impact of the Descarries decision

In 2005-0134731R3 F, Mr. X realized a capital gain of selling all of the common shares of HOLDCO to his children in consideration for promissory...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 245 - Subsection 245(4) contrary to GAAR to use basis stepped up under CGD to create a capital loss permitting surplus extraction 494

2014 Ruling 2014-0526361R3 F - Post Mortem Pipeline

An estate of B, and a spousal trust for which B had been the spouse, which on death acquired (Class F) preference shares of a portfolio...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 84 - Subsection 84(2) step up of PUC of freeze pref shares for purposes of pipeline transaction 315

25 November 2012 CTF Roundtable, 2013-0479402C6 - Employee Buycos - comments from CRA Panel

Employees of Opco received Opco shares as incentives under an Opco employee share ownership plan ("ESOP"). Under the terms of the ESOP, on...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 251 - Subsection 251(1) - Paragraph 251(1)(c) stock option share Buyco not at arm's length 202

3 July 2012 External T.I. 2012-0443421E5 F - 84.1 and partnership

A and B are Canadian-resident spouses who have not utilized their capital gains exemption and who each hold 50 Class A shares (the only issued...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 245 - Subsection 245(4) s. 245(2) has been applied to the use of a partnership to avoid s. 84.1 536

7 October 2011 Roundtable, 2011-0412121C6 F - Interaction between S. 84.1 and S. 85(2.1)

Where shares with a high PUC and low ACB are transferred by an individual under s. 85(1) to Holdco for shares with the same high-low attributes,...

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Words and Phrases
apply
Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 85 - Subsection 85(2.1) s. 85(2.1) does not apply where s. 84.1(1) applies even if there is no grind under the s. 84.1(1)(a) formula 166

1 October 2010 External T.I. 2010-0378681E5 F - Déduction pour gain en capital

Would the capital gains deduction be available to an individual who disposes of all of the shares of "Opco") to another corporation ("Sonco")...

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7 July 2010 External T.I. 2010-0370611E5 F - Purchase of Shares by Subsidiary - Sec. 245

A CRA response at the 2005 APFF Roundtable (2005-0141061C6) dealt with the situation where Mr. X, an arm’s length shareholder owning 20% of the...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 245 - Subsection 245(4) position that an individual potentially can realize a capital gain by selling shares to a Newco sub of the corporation for cash does not depend on there being a s. 87 or 88 merger of Newco and the corporation 264

28 August 2008 External T.I. 2008-0287611E5 F - Surplus Stripping

Regarding a proposed series of transactions whose purpose was to convert a taxable dividend that would otherwise have been paid by Opco into a...

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5 October 2007 APFF Roundtable Q. 10, 2007-0243171C6 F - Surplus Stripping

Scenario (a)

Mr. X, who holds all of Opco, exchanges all of his Opco common shares for retractable preferred shares of Opco. Mr. X then subscribes...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 251 - Subsection 251(1) - Paragraph 251(1)(c) leveraged Employeeco buyout could be an arm’s length transaction 127

12 January 2005 External T.I. 2004-0106161E5 - Application of par. 84.1(1)(b) on a sale of shares

Under transactions in which Mr. A sells a portion of his shares of a family farm corporation ("Farmco") to a newly incorporated subsidiary ("Xco")...

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7 December 2004 External T.I. 2004-0103061E5 F - Non Arm's Length Sale of Shares-Surpl. Stripping

A professional partnership with three members disposes of all the shares of the services corporation ("Serviceco" - rendering services to the...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 245 - Subsection 245(4) scheme of Act requires that a corporate distribution be treated as income, regardless of form 138

29 June 2004 External T.I. 2004-0078951E5 F - Non Arm's Length Sale of Shares, Surplus Stripping

An individual ("A") holds preferred shares in a holding corporation ("HOLDCO") with an ACB equaling their FMV of $500,000 as a result of a...

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9 January 2004 External T.I. 2003-0037425 - Application of Section 84.1

A farming partnership between a husband and wife transfers its business to a newly-incorporated corporation ("Opco") whose common shares are held...

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12 June 2003 External T.I. 2003-0019725 F - Sale of Holding' Shares to OPCO

Three unrelated individuals (X, Y and Z), in addition to holding some of the shares of Opco directly, also held Opco shares through their...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 251 - Subsection 251(1) - Paragraph 251(1)(c) 3 unrelated individuals likely acting in concert where they act without separate interests to achieve a basis step-up re transactions that are irrelevant to the business of the other party (Opco) 217

26 March 2003 External T.I. 2003-0008645 F - Non-Arm's Length Sale of Shares

Regarding whether a transaction in which a holding company owned equally by a married couple (Mr. and Ms. B) sold 50% of the common shares of Opco...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 251 - Subsection 251(1) - Paragraph 251(1)(c) family relationship (e.g., uncle/nephew) are more likely to give rise to NAL transaction 93

28 March 2003 External T.I. 2002-016665

Mr. and Mrs. A, and Mr. and Mrs. B, hold 26%, 12%, 26% and 12%, respectively of the common shares of a small business corporation (“OPc”) and...

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4 November 1998 External T.I. 9801695 - WHETHER A PARTNERSHIP IS A TAXPAYER

A partnership that transfers shares will be considered to be a person and a taxpayer for purposes of s. 84.1.

23 December 1993 External T.I. 9326885 F - The Application of Section 84.1 of the Income Tax Act

RC's practice is to apply s. 84.1 where the conditions for its application are present given that its provisions do not give RC any administrative...

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1993 A.P.F.F. Round Table Q. 4

It is not relevant to the application of s. 84.1 whether the subject corporation and the purchaser corporation were connected before the...

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29 January 1990 T.I. (June 1990 Access Letter, ¶1264)

The sale by Mr. and Mrs. A of all the shares of Holdco to a corporation owned by their daughter and son-in-law in consideration for a promissory...

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18 December 1989 T.I. (May 1990 Access Letter, ¶1220)

An estate which acquires shares of a deceased person under a testamentary trust acquires the shares from a person with whom it was not dealing at...

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October 1989 Revenue Canada Round Table - Q.11 (Jan. 90 Access Letter, ¶1075)

s. 84.1 will not apply where an individual taxpayer exchanges common shares of a corporation for preferred shares of the same corporation -...

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18 Aug. 89 T.I. (Jan. 90 Access Letter, ¶1082)

s. 84.1 does not apply to the disposition by an individual of 1/2 of his common shares of Opco to Opco in exchange for preference shares of Opco...

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Articles

Anthony Strawson, Timothy P. Kirby, "Vendor Planning for Private Corporations: Select Issues", 2017 Conference Report, (Canadian Tax Foundation), 11:1-28

Use of holding companies to create CDA and s. 84.1, to defer tax on a sale by individual shareholders (pp. 11:19-20)

  • Opco is a CCPC.
  • Opco has an...

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David Wilkenfeld, "Section 84.2 Update", Tax for The Owner-Manager, Vol. 2, No. 1, January 2002.

Paragraph 84.1(1)(a)

Administrative Policy

31 August 2005 Internal T.I. 2005-0134831I7 F - Capital Gains Exemption Strip

Each of two brothers, who already held some of “their” shares of Opco through their respective holding companies (Holdco 1 or Holdco 2) had,...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 245 - Subsection 245(4) the use of s. 40(3.6)(b) for surplus-stripping purposes would be referred to the GAAR Committee 122
Tax Topics - Income Tax Act - Section 40 - Subsection 40(3.6) individuals holding high-ACB/low-PUC prefs and low ACB/PUC common shares preserved that ACB under s. 40(3.6)(b) for surplus-stripping purposes on their prefs’ redemption 91

Paragraph 84.1(1)(b)

Administrative Policy

11 October 2019 APFF Roundtable Q. 1, 2019-0819401C6 F - Interaction between par. 84.1(1)(b) and 129(1(a)

In 2002-0128955, CRA indicated that a deemed dividend under s. 84.1(1)(b) would not generate a dividend refund (DR). CRA has now stated:

[W]e have...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 129 - Subsection 129(1) reversal of position that s. 84.1(1)(b) dividends do not generate dividend refunds 144

25 November 2012 Roundtable, 2013-0479401C6 F - Employés et Achat Ltée – commentaires panel ARC

In order to facilitate the disposition of shares of departing employees who had purchased their shares under an employee share ownership plan,...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 251 - Subsection 251(1) - Paragraph 251(1)(c) Buyco that is formed by employer to purchases departing employees’ shares is NAL 118

5 October 2012 APFF Roundtable, 2012-0454091C6 F - GRIP and deemed dividend pursuant to 84.1(1)(b)

Mr and Mrs X hold all the shares of Corporation A and B, respectively (both private corporations). Mr X sells all his shares of Corporation A to...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 89 - Subsection 89(14) s. 84.1 deemed dividend paid to an individual could be an eligible dividend notwithstanding him not being a shareholder of the payer 269

30 May 2007 External T.I. 2006-0183851E5 F - Paragraphs 83(2) and 84.1(1)

Mr. X transfers high-low preferred shares of Opco 1 to Opco 2 (both held by him and related persons) in consideration for a note, such that he is...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 83 - Subsection 83(2) s. 83(2) election can be made on a s. 84.1 deemed dividend 152