30 March 2022 External T.I. 2017-0737181E5 F - Right to receive income from a trust |
Income Tax Act - Section 73 - Subsection 73(1.01) - Paragraph 73(1.01)(c) - Subparagraph 73(1.01)(c)(ii) |
clause suspending the right to income on bankruptcy would not satisfy s. 73(1.01)(c)(ii) |
7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 1, 2021-0899661C6 - Application of paragraph 20(1)(bb) |
Income Tax Act - Section 20 - Subsection 20(1) - Paragraph 20(1)(bb) |
licensed securities dealers satisfy the principal business test and reasonable management fees paid to them are deductible |
7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 3, 2021-0896031C6 F - Règles sur les pertes apparentes |
Income Tax Act - Section 54 - Superficial Loss |
application of superficial loss rule to reacquisition of identical shares by spousal RRSP on the 30th day |
Statutory Interpretation - Interpretation Act - Section 27 - Subsection 27(5) |
counting 30 day period starting with disposition |
7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 4, 2021-0895991C6 F - Déduction pour don de bienfaisance corporatif |
Income Tax Act - Section 123.4 - Subsection 123.4(1) - Full Rate Taxable Income - Paragraph (b) |
no charitable deduction can reduce aggregate investment income |
7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 5, 2021-0903871C6 F - HBP - Breakdown of marriage or common-law partners |
Income Tax Act - Section 146.01 - Subsection 146.01(1) - Regular Eligible Amount - Paragraph (f) |
individual could make an HBP withdrawal after she started living separate and apart (but still in same house) from her common-law partner |
Income Tax Act - Section 248 - Subsection 248(1) - Common-Law Partner |
former common-law partners can live separate and apart in the same house, and cessation of their status is effective the first day |
Income Tax Act - Section 146.01 - Subsection 146.01(2.1) - Paragraph 146.01(2.1)(a) |
when two spouses separate in the same co-owned house, one can make an HBP withdrawal to purchase the co-ownership interest of her spouse |
7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 6, 2021-0896061C6 F - Prolonged Administration of an Estate |
Income Tax Act - 101-110 - Section 104 - Subsection 104(1) |
extended administration clause created an extended trust |
Income Tax Act - 101-110 - Section 104 - Subsection 104(6) |
s. 104(18) overrode the s. 104(6) requirement to make income payable in the year |
Income Tax Act - 101-110 - Section 104 - Subsection 104(18) |
s. 104(18) can apply where an executor has discretion to defer the payment of income for the benefit of minor beneficiaries over an extended period |
7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 7, 2021-0899681C6 F - Stock option, Short sale and Identical property |
Income Tax Act - Section 233.3 - Subsection 233.3(1) - Specified Foreign Property - Paragraph (a) |
CRA is still reviewing whether and when cryptocurrencies may not be foreign property |
7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 8, 2021-0899701C6 F - Post-mortem planning - Pipeline |
Income Tax Act - Section 84 - Subsection 84(2) |
a pipeline transaction can use an existing corporation rather than a Newco |
Income Tax Act - Section 84.1 - Subsection 84.1(1) |
pipeline transaction can be structured to access hard ACB |
7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 9, 2021-0903501C6 F - RRSP overcontribution and RRIF withdrawal |
Income Tax Act - Section 204.2 - Subsection 204.2(1.2) - J |
an RRSP or RRIF withdrawal has an immediate impact on tax on the cumulative excess |
7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 10, 2021-0896101C6 F - Death of seg. fund policyholder - income allocatio |
Income Tax Act - Section 138.1 - Subsection 138.1(1) - Paragraph 138.1(1)(f) |
accrued income under a segregated fund is not deemed by s. 138.1(1)(f) to be a right or thing |
Income Tax Act - 101-110 - Section 104 - Subsection 104(24) |
deeming of an amount to be payable for s. 104(24) purposes does not create a legal entitlement to it |
7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 11, 2021-0896021C6 - APFF Q.11 - T1135 and situs of cryptocurrencies |
Income Tax Act - Section 233.3 - Subsection 233.3(1) - Specified Foreign Property - Paragraph (a) |
CRA is currently reviewing whether and when cryptocurrencies may not be foreign property |