Income Tax Severed Letters - 2026-05-06

Ruling

2025 Ruling 2025-1070081R3 - Multi-wing Butterfly

Unedited CRA Tags
55(2), 55(3.1), 84(3), 88(2), 85(1)

Principal Issues: Whether the butterfly dividend is exempt from 55(2) as a result of qualifying under 55(3)(b)?

Position: Yes.

Reasons: Proposed transactions meet the requirements of paragraph 55(3)(b).

2023 Ruling 2023-0964891R3 - Loss consolidation arrangement

Principal Issues: (1) Whether Lossco would be entitled
to apply existing non-capital losses, investment tax credits and cumulative Canadian exploration expense against the interest income to be earned on the Profitco Note, and (2) Whether Profitco would be entitled to deduct the interest expense that would be paid or payable on the Profitco Note, and the Newco Preferred Shares Dividends that would be received on the Newco Preferred Shares.

Position: (1) Yes; (2) Yes

Reasons: Profitco would comply with the requirements found in paragraph 20(1)(c) and subsection 112(1), and the CRA views applicable to loss consolidations arrangements because Profitco and Lossco are and will continue to be Related Persons and Affiliated Persons throughout the Proposed Transactions. In addition, the Loss Consolidation transactions will be legally effective, and will not contemplate dollar amounts and time frames that are blatantly artificial.

Technical Interpretation - External

27 January 2026 External T.I. 2025-1080051E5 - CT-ITC Recapture Rules

Unedited CRA Tags
s. 127(33)-(34); 127.45(11)-(14)

Principal Issues: Can the recapture of the Clean Technology ITC be deferred on multiple intercorporate transfers which have occurred prior to the ultimate deposition of the clean technology property to an unrelated party?

Position: Yes.

Reasons: Textual, contextual and purposive interpretation of the relevant law.

22 January 2026 External T.I. 2025-1078871E5 - PSW Initiatives Program Payments

Unedited CRA Tags
5(1); 56(1)(r)(i)

Principal Issues: Tax treatment of payments made to eligible PSWs through a government sponsored program.

Position: Payments are taxable as employment income.

Reasons: Where the government sponsors a program that is designed to have employers deliver payments to PSWs, the amount received is included in employment income under subsection 5(1).