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Nigel P.J. Johnston, Roger E. Taylor, "Taxation of Hedges and Derivatives: Recent Developments", 2016 Conference Report (Canadian Tax Foundation), 13:1-36 -- summary under Timing
. … The decision is Kruger …should not require the employer to mark the swap to market for purposes of computing income for tax, since entering into the swap is not part of a business carried on separately from the employer's core business. ...
Article Summary
Dov Begun, "Equity Based Compensation and Stock Options", 2017 Annual CTF Conference draft paper -- summary under Paragraph (k)
Dov Begun, "Equity Based Compensation and Stock Options", 2017 Annual CTF Conference draft paper-- summary under Paragraph (k) Summary Under Tax Topics- Income Tax Act- Section 248- Subsection 248(1)- Salary Deferral Arrangement- Paragraph (k) Need to avoid constructive receipt under a phantom plan (p. 4) The CRA … interprets the word “received” in the ITA as referring to amounts constructively received as well as actually received…. [1984 CTF Roundtable, Q.13]... ...
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Kenneth Saddington, Jennifer Hanna, "Mergers and Acquisitions in the Light of the US Tax Changes", 2018 Conference Report (Canadian Tax Foundation), 19:1-36 -- summary under Subsection 249(3.1)
Kenneth Saddington, Jennifer Hanna, "Mergers and Acquisitions in the Light of the US Tax Changes", 2018 Conference Report (Canadian Tax Foundation), 19:1-36-- summary under Subsection 249(3.1) Summary Under Tax Topics- Income Tax Act- Section 249- Subsection 249(3.1) Hybrid potential where IP with little recapture (p. 19:14) It may be possible to use a hybrid transaction to reconcile a US acquiror’s desire to acquire the IP as an asset acquisition with a vendor’s desire to sell shares …. ...
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David Carolin, Manu Kakkar, Stan Shadrin, "Capital Gains Exemption Planning, Trusts, and the 24-Month Holding Period Rule", Tax for the Owner-Manager, Vol. 21, No. 3, July 2021, pp. 2-3 -- summary under Paragraph 110.6(14)(c)
Example 3 The beneficiaries of a trust may include a second trust – which will be deemed by (c)(i) to be related to the first trust during the period that the second trust is a beneficiary thereof. ...
Article Summary
Koichiro Yoshimura, "Clarifying the Meaning of 'Beneficial Owner' in Tax Treaties", Tax Notes International, November 25, 2013, p. 761. -- summary under Article 29A
.' " c. The channel approach Under this approach, when a third-state resident has a substantial interest in the recipient, or exercises the management of or has control over the recipient, if a certain percentage of the income of that recipient is used to satisfy the claim by such third-state resident, the recipient will be disallowed the treaty benefits regarding such income. ... Treaty in dealing with steppingstone conduits (p. 770) … Under the base erosion test, if the total amount of expenses paid by the recipient (the company resident of State A) to third-state residents accounts for 50 percent or more of its gross income in the residence state (State A), the recipient will fail to satisfy the test, and it might appear that this test effectively deals with steppingstone conduits. ...
Article Summary
Jim Samuel, "Interaction of the Foreign Affiliate Surplus and Safe-Income Regimes: Selected Anomalies, Issues, and Planning Considerations", Canadian Tax Journal, (2018) 66:2, 269-307 -- summary under Paragraph 55(5)(d)
[fn 64: See… Brelco Drilling … [and] 2001-0093385] If a deficit of a lower-tier foreign affiliate does indeed reduce safe income on hand, the location of the deficit affiliate in a chain of foreign affiliates does not seem to be relevant—contrary to the general framework of the foreign affiliate surplus regime, in which so-called blocking deficits in a chain of foreign affiliates are generally more relevant (and potentially more problematic) than deficits in foreign affiliates that are at the bottom of the ownership chain. ... As a result, if one foreign affiliate in a chain has a hybrid surplus pool with an insufficient amount of hybrid underlying tax applicable [fn 66: …[D]efined in … 5907(1).] whereas another affiliate has an excess of hybrid underlying tax applicable, that pool is not available for the purposes of the determination of safe income, notwithstanding that the hybrid surplus would be fully sheltered with hybrid underlying tax applicable if the surplus pools of those two affiliates were combined. ...
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Brent F. Murray, "Incoterms 2010 Rules and Place of Delivery", Canadian GST Monitor, No. 274, July 2011, p.1. -- summary under Paragraph 142(1)(a)
In this situation, as explained in Question No. 18 from the February 24, 2000 GST Roundtable Meeting with the Canadian Bar Association (Sales & Commodity Tax Section), the CRA may determine that the place of delivery occurs in a different place, as follows: In the scenario described above, the terms are that delivery is FOB the non-resident's place of business. ...
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Derek G. Alty, Brian M. Studniberg, "The Corporate Capital Structure: Thin Capitalization and the ‘Recharacterization' Rules in Paragraphs 247(2)(b) and (d)", Canadian Tax Journal, (2014) 62:4, 1159-1202. -- summary under Subsection 247(2)
The first circumstance arises where the economic substance of a transaction differs from its form …. ...
Article Summary
Derek G. Alty, Brian M. Studniberg, "The Corporate Capital Structure: Thin Capitalization and the ‘Recharacterization' Rules in Paragraphs 247(2)(b) and (d)", Canadian Tax Journal, (2014) 62:4, 1159-1202. -- summary under Article 9
The first circumstance arises where the economic substance of a transaction differs from its form …. ...
Article Summary
Pierre-Marie Hourdin, "Is the Construction PE Clause in the OECD Model Treaty Satisfactory?", Tax Notes International, July 21, 2014, p. 229. -- summary under Article 5
. … According to some, [fn 38: E.g., Vogel, and Skaar, supra note [37]] to constitute a coherent whole, the work must be made in the same place and for the same client. ...