2013-12-04 |
19 November 2013 External T.I. 2011-0414201E5 F - Coop, ristournes, société de personne |
Income Tax Act - Section 96 - Subsection 96(1) - Paragraph 96(1)(a) |
customers of LP rather than of members |
2013-12-04 |
11 October 2013 Roundtable, 2013-0495801C6 F - Dividend Paid to Trust and Schedule 3 of T2 |
Income Tax Act - 101-110 - Section 104 - Subsection 104(19) |
s. 104(19) designation is not effective until year end of trust |
2013-12-04 |
11 October 2013 Roundtable, 2013-0495801C6 F - Dividend Paid to Trust and Schedule 3 of T2 |
Income Tax Act - Section 186 - Subsection 186(1) - Paragraph 186(1)(b) |
s. 104(19)-designated dividend is not received for s. 186(1)(b) purposes until year end of trust |
2013-12-04 |
11 October 2013 APFF Roundtable, 2013-0495811C6 F - De Facto Control |
Income Tax Act - Section 256 - Subsection 256(5.1) |
statutory right of chair to tie-breaking vote does not per se confer de facto control |
2013-11-27 |
11 October 2013 Roundtable, 2013-0495281C6 F - Question 9 - APFF Round Table |
Income Tax Act - Section 212 - Subsection 212(1) - Paragraph 212(1)(l) |
transfer to RRSP or RRIF of surviving non-resident spouse: SIN required; payment can be made directly to RRSP/RRIF of surviving spouse in accordance with joint instructions even where no specific non-will designation is made |
2013-11-27 |
11 October 2013 Roundtable, 2013-0495281C6 F - Question 9 - APFF Round Table |
Income Tax Act - Section 146 - Subsection 146(8.1) |
deemed receipt of refund of premiums for amount paid to executor, with deemed benefit to recipient spouse |
2013-11-27 |
11 October 2013 Roundtable, 2013-0495281C6 F - Question 9 - APFF Round Table |
Income Tax Act - Section 146.3 - Subsection 146.3(6.1) |
transfer of RRIF by executor to RRIF of surviving spouse |
2013-11-27 |
11 October 2013 Roundtable, 2013-0495281C6 F - Question 9 - APFF Round Table |
Income Tax Act - Section 212 - Subsection 212(1) - Paragraph 212(1)(q) |
direct transfer to RRIF of surviving non-resident spouse |
2013-11-27 |
29 October 2013 External T.I. 2013-0489771E5 F - Internal Reorganization - 55(3)(a) |
Income Tax Act - Section 248 - Subsection 248(10) |
estate distribution of corporation followed by transfer of assets from related corporation could be part of same series |
2013-11-27 |
29 October 2013 External T.I. 2013-0489771E5 F - Internal Reorganization - 55(3)(a) |
Income Tax Act - Section 55 - Subsection 55(3.2) - Paragraph 55(3.2)(d) |
s. 55(3.2)(d) application to estate distribution of corporation to 3 sibling beneficiaries does not deem them to be related to each other |
2013-11-27 |
29 October 2013 External T.I. 2013-0489771E5 F - Internal Reorganization - 55(3)(a) |
Income Tax Act - Section 55 - Subsection 55(3) - Paragraph 55(3)(a) - Subparagraph 55(3)(a)(v) |
relief under s. s. 256(7)(a)(i)(C) or (D) is relevant to s. 55(3.1)(b)(ii), but not to ss. 55(3)(a)(i) to (v) |
2013-11-27 |
11 October 2013 APFF Roundtable, 2013-0493651C6 F - Affiliated persons and de facto control |
Income Tax Act - Section 256 - Subsection 256(5.1) |
holding of relatively large note where debtor has a iliquid business could give rise to de facto control |
2013-11-27 |
11 October 2013 APFF Roundtable, 2013-0493651C6 F - Affiliated persons and de facto control |
Income Tax Act - Section 40 - Subsection 40(3.61) |
exception unavailable for inter vivos trust |
2013-11-27 |
11 October 2013 APFF Roundtable, 2013-0495781C6 F - GRIP Exceeds Safe Income |
Income Tax Act - Section 89 - Subsection 89(1) - Excessive Eligible Dividend Designation |
detailed review required to determine whether creation of preferred share dividend to flow out GRIP in excess of SIOH generatd EEDD |
2013-11-27 |
11 October 2013 APFF Roundtable, 2013-0495861C6 F - Question 20 - APFF Round Table |
Income Tax Act - Section 248 - Subsection 248(1) - Specified Member |
specified member status determined re involvement in daily management or activities |
2013-11-27 |
11 October 2013 APFF Roundtable, 2013-0495861C6 F - Question 20 - APFF Round Table |
Income Tax Act - Section 40 - Subsection 40(3.14) - Paragraph 40(3.14)(a) |
not a limited partner if unlimited liability to third parties |
2013-11-27 |
11 October 2013 APFF Roundtable, 2013-0492791C6 F - Gift by will |
Income Tax Act - Section 118.1 - Subsection 118.1(5) |
potential executor discretion re corporate/estate split of gift might preclude as "gift" |
2013-11-27 |
11 October 2013 APFF Roundtable, 2013-0495721C6 F - APFF 2013- Round table question 7 |
Income Tax Act - Section 75 - Subsection 75(2) |
Sommerer FMV sale exception maintained with price adjustment clause |
2013-11-27 |
11 October 2013 APFF Roundtable, 2013-0495721C6 F - APFF 2013- Round table question 7 |
General Concepts - Fair Market Value - Shares |
FMV is a question of fact within TCC's discretion |
2013-11-27 |
11 October 2013 APFF Roundtable, 2013-0493671C6 F - Testamentary trust beneficiary of inter vivos trust |
Income Tax Act - 101-110 - Section 108 - Subsection 108(1) - Testamentary Trust |
testamentary trust will lose its status if it is designated as the beneficiary of an inter vivos trust |
2013-11-20 |
7 October 2013 External T.I. 2013-0500941E5 F - Actif utilisé dans une entreprise active |
Income Tax Act - 101-110 - Section 110.6 - Subsection 110.6(1) - Qualified Small Business Corporation Share |
rental property of partnership leased as to 15% to an active business partner did not qualify as active business asset |
2013-11-20 |
11 October 2013 Roundtable, 2013-0493701C6 F - Amount paid or credited - Reg. 202 |
Income Tax Regulations - Regulation 202 - Regulation 202(1) - Paragraph 202(1)(b) |
accounting method used by recipient does not affect which items are reported on NR4 |
2013-11-20 |
5 November 2013 External T.I. 2013-0501241E5 F - Application of subsection 39(2) |
Income Tax Act - Section 39 - Subsection 39(2) |
declared dividend is a debt to which s. 39(2) applies |
2013-11-20 |
5 November 2013 External T.I. 2013-0501241E5 F - Application of subsection 39(2) |
Income Tax Act - Section 12 - Subsection 12(11) - Investment Contract |
dividend becomes debt when declared |
2013-11-20 |
23 September 2013 Internal T.I. 2012-0471531I7 F - Non-profit organization |
Income Tax Act - Section 149 - Subsection 149(1) - Paragraph 149(1)(l) |
taxable member of an NPO can make loans at interest to it and receive repayment of the loan on the NPO’s winding-up |
2013-11-13 |
11 October 2013 Roundtable, 2013-0492821C6 F - Question 3 - APFF Round Table |
Treaties - Income Tax Conventions - Article 4 |
s. 94 trusts were resident in Canada for Treaty purposes even before Income Tax Conventions Interpretation Act amendment, which precludes application of tie-breaker |
2013-11-13 |
11 October 2013 Roundtable, 2013-0492821C6 F - Question 3 - APFF Round Table |
Other Legislation/Constitution - Federal - Income Tax Conventions Interpretation Act - Section 4.3 |
s. 4.3 precludes application of tie-breaker rule |
2013-11-13 |
11 October 2013 Roundtable, 2013-0495901C6 F - Limited partnership loss and non-capital loss |
Income Tax Act - Section 111 - Subsection 111(8) - Non-Capital Loss |
non-capital loss is not increased by amount otherwise deductible under s. 111(1)(e) |
2013-11-13 |
11 October 2013 Roundtable, 2013-0495741C6 F - Dividend received by an employee trust |
Income Tax Act - 101-110 - Section 104 - Subsection 104(19) |
s. 104(19) designation unavailable for employee trust or employee benefit trust |
2013-11-13 |
11 October 2013 Roundtable, 2013-0495891C6 F - Partnership's capital gains allocation - CGE |
Income Tax Act - Section 96 - Subsection 96(1) - Paragraph 96(1)(f) |
capital gains from CGD-eligible property are separately allocated to partner |
2013-11-13 |
25 September 2013 Internal T.I. 2013-0476311I7 F - 93(2), 93(2.01) - Share substituted |
Income Tax Act - Section 248 - Subsection 248(5) |
s. 248(5) requirement for a legal exchange is engaged by a reference to a substituted share |
2013-11-13 |
25 September 2013 Internal T.I. 2013-0476311I7 F - 93(2), 93(2.01) - Share substituted |
Income Tax Act - Section 93 - Subsection 93(2.01) |
concept of substituted share in s. 93(2.01) is subject to the exchanged-for limitation in s. 248(5)(a) |
2013-11-13 |
11 October 2013 Roundtable, 2013-0495271C6 F - Flow-through shares and death |
Income Tax Act - Section 66 - Subsection 66(12.6) |
renunciation must take effect before the death of the deceased and is unavailable to estate |
2013-11-13 |
11 October 2013 Roundtable, 2013-0495271C6 F - Flow-through shares and death |
Income Tax Act - Section 66 - Subsection 66(12.66) |
lookback unavailable where taxpayer was deceased on December 31 of look-back year |
2013-11-13 |
11 October 2013 Roundtable, 2013-0495911C6 F - Insurable employment |
Other Legislation/Constitution - Federal - Employment Insurance Act - Section 5 - Subsection 5(2) - Paragraph 5(2)(b) |
employment by employees of partnership of corporations is treated as joint employment by those corporations |
2013-11-13 |
11 October 2013 Roundtable, 2013-0495911C6 F - Insurable employment |
Income Tax Act - Section 7 - Subsection 7(3) - Paragraph 7(3)(a) |
partners treated as employers of partnership employees |
2013-11-13 |
11 October 2013 APFF Roundtable, 2013-0495751C6 F - Time of an Acquisition of Control |
Income Tax Act - Section 256 - Subsection 256(9) |
s. 256(9) does not permit the parties to elect as to the actual time of acquisition of control |
2013-11-13 |
11 October 2013 APFF Roundtable, 2013-0493691C6 F - Transfer of a Foreign Retirement Arrangement |
Income Tax Act - Section 60.01 |
2 transfers of IRAs or 401(k) would not be a series of periodic payments |
2013-11-13 |
11 October 2013 APFF Roundtable, 2013-0495821C6 F - Share disposition |
Income Tax Act - Section 248 - Subsection 248(1) - Disposition |
no disposition where shares exchanged for identical-attribute shares of a different class |
2013-11-13 |
11 October 2013 APFF Roundtable, 2013-0495821C6 F - Share disposition |
Income Tax Act - Section 85 - Subsection 85(1) |
shares in different class with identical attributes are the same shares |