CRA finds that a dividend received by a trust and immediately paid to a connected corporate beneficiary was taxed under Part IV if the connection ceased before the trust year end
On June 23, 2017, a discretionary family trust receives a dividend on its shares of Opco and immediately on-pays that amount to a family corporation beneficiary (Holdco) to which Opco is connected at that time. However, a few days later (and, crucially, before the current taxation year end of the trust and also before the (June 30) taxation year end of Holdco) there is an acquisition of control of Opco resulting in it ceasing to be connected to Holdco. The trust designates the dividend under s. 104(19) for its 2017 year.
Headquarters indicated that such dividend was subject to Part IV tax in the hands of Holdco because the time at which it was considered to have received the s. 104(19) dividend (the calendar year end of the Trust) was in the taxation year of Holdco (commencing on July 1, 2017) throughout which Opco was no longer connected to Holdco, stating:
[T]he amount designated to the beneficiary by a trust in accordance with subsection 104(19) is deemed to be received as a dividend by the beneficiary of the trust at the end of the taxation year of the trust in which the trust received the dividend. This position is based inter alia on the fact that the trust cannot make the designation under subsection 104(19) before the end of its taxation year.
Neal Armstrong. Summary of 30 April 2019 Internal T.I. 2018-0757591I7 F under s. 186(1)(a).