De Mond v. R., 99 DTC 893, [1999] 4 CTC 2007 (TCC) -- summary under Subsection 104(2)

revocable living trust was a bare trust

A trust established by the taxpayer (apparently intended to be a revocable living trust for US tax purposes) was found to be a bare trust. After...

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bare trust
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Tax Topics - Income Tax Act - Section 104 - Subsection 104(1) taxpayer characterized as playing the role of settlor, trustee and beneficiary of his “own” trust, so that it was a bare trust 412