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Tax Interpretations
Canadian tax interpretations and transactional implications
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CRA accepts that a significant arm’s length investment in a related corporation that will purchase the assets retained under a s. 55(3)(a) spin-off did not occur as part of the series
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(Your name) has forwarded "CRA accepts that a significant arm’s length investment in a related corporation that will purchase the assets retained under a s. 55(3)(a) spin-off did not occur as part of the series" - Tax Interpretations
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