Please note that the following document, although believed to be correct at the time of issue, may not represent the current position of the CRA.
Prenez note que ce document, bien qu'exact au moment émis, peut ne pas représenter la position actuelle de l'ARC.
Revenue Canada Taxation Head Office
November 16, 1988
G. Kauppinen (613)957-3495
Dear Sirs:
This is in reply to your Fax dated November 3, 1988 wherein you requested our opinion that shares of XXXX would be qualified investments for a registered retirement savings plan ("RRSP").
As discussed in our telephone conversation on November 9, 1988 (XXXX Kauppinen) the determination of the foregoing will depend upon all relevant facts at the time of acquisition of shares of XXXX by an RRSP.
Generally the shares of a Canadian Controlled Private Corporation ("CCPC") are eligible investments for an RRSP if the CCPC is an "eligible corporation" and the annuitant of the RRSP is not a "designated shareholder" of the CCPC. These latter two terms are defined in sections 4900 through 5103 of the Income Tax Regulations (Regulations).
Briefly, an eligible corporation is generally a taxable Canadian corporation which uses substantially all of its property in a "qualifying active business". Specifically excluded from this definition are securities dealers, financial institutions, corporations whose principal business is the lending of money or the purchasing of debt and non-resident controlled corporations.
A "qualifying active business" is also a defined term which generally includes any business which is carried on in Canada except one where its principal purpose is to earn income from property in the form of interest, dividends, rent, royalties or gains from dispositions of property. A qualifying business may, however, include a business of leasing property, other than real property, and a retail or wholesale business.
A corporation's business will be considered to have been carried on in Canada if at least 50% of its employees are engaged in the business in Canada or at least 50% of its salaries or wages are paid for services provided in Canada in respect of the business. If the corporation is part of a group of related corporations, the combined services of their employees and the combined salaries and wages paid must be considered in making this determination.
A "designated shareholder" of a corporation is any person who
(a) is, or is related to, a person who separately or together with any other related persons holds 10% or more of the shares of any class of shares of the corporation, unless the cost amount of those shares was, in total, less than $25,000. For this purpose, an annuitant of an RRSP and the RRSP itself are considered to be related persons,
(b) is or is related to a member of a partnership that controls the corporation,
(c) is or is related to a beneficiary under a trust that controls the corporation,
(d) is or is related to an employee of the corporation where the employees control the corporation, except where the corporation is controlled by one person or a related group of persons, or
(e) does not deal at arm's length with the corporation.
Due to the detail and complexity of the Regulations regarding these issues, the foregoing comments are meant only to provide an overview of the relevant provisions and under no circumstances are they to be considered to be either comprehensive or all inclusive. We trust, however, that they are of assistance.
These comments are an expression of opinion only and are not binding on the Department.
Yours truly,
for Director Financial Industries Division Rulings Directorate
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