Income Tax Severed Letters - 2013-05-22

Ruling

CRA Tags:

Principales Questions: 1) Whether the gift of an interest in a trust will give rise to a tax credit pursuant to subsection 118.1(3)?
2) Whether the capital interest is non-qualified security?

Position Adoptée: 1) Yes
2) No

Raisons: 1) The requirements in IT-226R are met.
2) Legislative analysis

CRA Tags:

Principales Questions: Dans le cas où un associé d'une société de personnes crée une société par actions par l'entremise de laquelle des services professionnels XXXXXXXXXX seront fournis à XXXXXXXXXX, est-ce que cette société par actions serait admissible à la déduction accordée aux petites entreprises?

Position Adoptée: Question de fait. Généralement oui, si certaines conditions sont respectées.

Raisons: Selon la Loi de l'impôt sur le revenu actuelle. En accord avec des décisions anticipées précédentes.

CRA Tags:

2012 Ruling 2012-0451421R3 - Purchase of Target and bump -- attach -- Paragraph 212.3(18)(c)

deemed investment on amalgamation of subsidiary

After giving effect to preliminary transactions relating to the Bidco structure:

  • a non-resident public company (Parent) is the sole shareholder...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 88 - Subsection 88(1) - Paragraph 88(1)(c.3) - Subparagraph 88(1)(c.3)(i) guarantee 32
Tax Topics - Income Tax Act - Section 88 - Subsection 88(4) - Paragraph 88(4)(b) Target Amalco 2 formed post-AOC and pre-bump (occurring on amalgamation of Target Amalco 2 with Bidco) is a continuation its predecessors for s. 88(1)(c) midamble purposes/prepackaging transactions before formation of Target Amalco 2/Target asset buyers agree not to purchase Target shares 995

2012 Ruling 2012-0451421R3 - Purchase of Target and bump -- attach -- Subparagraph 88(1)(c.3)(i)

guarantee

Ruling that Parent guarantees of the amended notes of Target will not constitute substituted property as described in s. 88(1)(c.3). See detailed...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 212.3 - Subsection 212.3(18) - Paragraph 212.3(18)(c) deemed investment on amalgamation of subsidiary 833
Tax Topics - Income Tax Act - Section 88 - Subsection 88(4) - Paragraph 88(4)(b) Target Amalco 2 formed post-AOC and pre-bump (occurring on amalgamation of Target Amalco 2 with Bidco) is a continuation its predecessors for s. 88(1)(c) midamble purposes/prepackaging transactions before formation of Target Amalco 2/Target asset buyers agree not to purchase Target shares 995

2012 Ruling 2012-0451421R3 - Purchase of Target and bump -- attach -- Paragraph 88(4)(b)

Target Amalco 2 formed post-AOC and pre-bump (occurring on amalgamation of Target Amalco 2 with Bidco) is a continuation its predecessors for s. 88(1)(c) midamble purposes/prepackaging transactions before formation of Target Amalco 2/Target asset buyers agree not to purchase Target shares

After giving effect to preliminary transactions relating to the Bidco structure:

  • a non-resident public company (Parent) is the sole shareholder...

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Principal Issues: Acquisition of control of Target Amalco by Bidco. Amalgamation of Target Amalco with subsidiaries followed by the amalgamation of Target Amalco 2 with Bidco. Bump of the capital property held by Target Amalco 2 before the amalgamation.

Position: Favourable rulings provided.

Reasons: In compliance with the law.

CRA Tags:

2012 Ruling 2012-0460811R3 - Public Company Spin-Off Butterfly -- attach -- Distribution

standard spin-off by public resource co

Under the proposed transactions for a spin-off butterfly of Spinco by DC (a public corporation and principal business corporation as defined in...

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Principal Issues: Whether proposed transactions are exempt from the application of subsection 55(2).

Position: Yes.

Reasons: Meet the requirements of paragraph 55(3)(b).

Ministerial Correspondence

CRA Tags:

Principal Issues: 1. Taxpayer has commented on content in guide T4036, Rental Income.

Position: 1. No position taken.

CRA Tags:

Principal Issues: 1. Eligibility of a community for the purposes of claiming the northern residents deduction.

Position: 1. The community is not currently in a prescribed zone. Any proposed changes to the Regulation must be initiated by the Department of Finance.

Reasons: 1. Regulation 7303.1.

CRA Tags:

Principal Issues: 1. Is government compensation to flood-affected businesses taxable?

Position: 1. Yes. Any amounts received are generally included under section 9 or specifically included under paragraph 12(1)(x) of the ITA.

Reasons: 1. The Act.

CRA Tags:

Principal Issues: Whether a taxpayer's contribution to a long-term health care insurance plan qualifies for the medical expense tax credit.

Position: It depends on whether the amounts were paid to a "private health services plan" as defined in subsection 248(1) of the Act.

Reasons: Paragraph 118.2(2)(q)

CRA Tags:

Principal Issues: 1. The taxpayer is expressing general concerns about the difference in taxation of lottery winnings, Olympic prize money and the cash surrender value of life insurance policies.

Position: 1. Generally lottery winnings are not income from a source, however Olympic prize money and the cash surrender value of a life insurance policy are income from a source.

Reasons: 1. The Act.

Principal Issues: 1. The taxpayer is expressing concern about recent rent increases in his mobile home park.

Position: 1. Advise taxpayer that tenancy issues fall within provincial jurisdiction.

Reasons: 1. CRA is not responsible for tenancy issues.

Technical Interpretation - External

CRA Tags:

10 May 2013 External T.I. 2013-0485501E5 - Disposition of Intellectual Property -- attach -- Copyright

sale of IP by video game developer would be business income

In response to a question respecting the treatment of income received from the sale of intellectual property by a taxpayer that carries on a...

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Principal Issues: How should amount received on the disposition of intellectual property be reported?

Position: General comments provided.

Reasons: The tax treatment of amounts received depends, on the nature of the transferor's business, the nature of the payments received, and the nature of the property in the transferor's hands (e.g., inventory, capital property, depreciable property or eligible capital property).

CRA Tags:

Principal Issues: What expenditures can be claimed in determining the business income of a writer for income tax.

Position: Reference materials provided.

Reasons: Whether certain expenditures are deductible is a question of fact and our position regarding specific deductions are contained in a number of ITs.

CRA Tags:

1 May 2013 External T.I. 2012-0459541E5 - Capital interest in a trust -- attach -- Subsection 85(1.1)

trust capital interest

"[T]he capital interest in a personal trust will qualify as ‘eligible property pursuant to subsection 85(1.1) and for the purposes of subsection...

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Principal Issues: Will a capital interest in a personal trust qualify as 'eligible property', as defined in subsection 85(1.1) of the Act, for the purposes of subsection 85(1)?

Position: Yes, provided it is determined to be a capital property of the taxpayer.

Reasons: Pursuant to the provisions of section 54, subsections 107(1), 108(1) and 248(1) of the Act.

CRA Tags:

Principal Issues: Change in position taken in Document 2012-043551

Position: ETC is in fact available to an individual taking a course in connection with his or her employment, provided all other requirements for the ETC are met.

Reasons: Change in the legislation.

CRA Tags:

In response to an inquiry as to the interpretation of the expression on-call as used in the definition of eligible volunteer firefighting...

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Words and Phrases:

Principal Issues: 1. Meaning of on call.
2. Do hours devoted to fundraising qualify as eligible volunteer firefighting services?

Position: 1. The CRA expects that each fire department will certify time for services, including on call hours, in accordance with its own expectations, operational requirements, policies and procedures.
2. Only fundraising activities which directly involve the use of firefighting training, skills or equipment qualify as eligible volunteer firefighting services.

Reasons: 1. Generally a question of fact.

CRA Tags:

Principal Issues: Is the refundable Ontario Healthy Homes Renovation Tax Credit (OHHRTC) considered an amount that a taxpayer is "entitled to be reimbursed" for the purposes of paragraph 118.2(3)(b) of the Income Tax Act (the "Act")?

Position: Depends of the facts, but likely yes.

Reasons: The definition of reimburse is sufficiently broad to encompass the OHHRTC.

CRA Tags:

Principal Issues: 1. Can two strata units be considered one residence for the purposes of the definition of a principal residence?

Position: 1. Probably not.

Reasons: 1. It is the responsibility of the local TSO to make a factual determination.

Technical Interpretation - Internal

CRA Tags:

Principal Issues: 1. Whether a motor home is considered to be a qualifying home.
2. Whether a motor home is considered to be a principal place of residence.

Position: 1. No. 2. Unlikely.

Reasons: 1 & 2. See response.