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Jeffrey T. Love, Kenneth R. Hauser, "How Various Aggregation Rules Apply to Trusts", 2018 Conference Report (Canadian Tax Foundation), 28: 1-79 -- summary under Subparagraph 248(25)(b)(ii)

. Subparagraph 248(25)(b)(ii) contemplates that a person or partnership exercises discretion to make the other person or partnership beneficially interested in the particular trust, under either the terms or conditions of the particular trust or an arrangement in respect of a particular trust. ...
Article Summary

Jeffrey T. Love, Kenneth R. Hauser, "How Various Aggregation Rules Apply to Trusts", 2018 Conference Report (Canadian Tax Foundation), 28: 1-79 -- summary under Subsection 248(25)

Also Lyrtech RD…held that subsection 248(25) did not apply to paragraph 251(5)(b). ...
Article Summary

Jeffrey T. Love, Kenneth R. Hauser, "How Various Aggregation Rules Apply to Trusts", 2018 Conference Report (Canadian Tax Foundation), 28: 1-79 -- summary under Paragraph 256(1.2)(f)

. When subparagraph 256(1.2)(f)(ii), (iii), or (iv) applies to deem a person to own shares owned (or deemed to be owned) by the trust, two uncertainties arise. ...
Article Summary

Nathan Boidman, "How Will Revised Sourcing Rules Affect Sales of U.S.-Made Goods Abroad?", Tax Notes International, 10 February 2020, p. 655 -- summary under Subparagraph 115(1)(a)(ii)

. Assuming there is no domestically defined permanent establishment in a province to which the sale is referable, the federal rate will be 25 percent plus a branch profit tax of 25 percent (asuming no treaty reduction) on the residual 75 percent unless reinvested. ...
Article Summary

Marc Roy, "Proposed Transfer Pricing Ordering Rules", International Tax (Wolters Kluwer CCH), December 2019, No. 109, p. 3 -- summary under Subsection 247(2.1)

. Contrary direction in text that initial amounts already reflect other ITA provisions (p. 6) However, the language in the Proposed Amendments defines the “initial amounts” as amounts “that would be determined for the purposes of this Act (if this Act were read without reference to this section and section 245) in respect of the taxpayer or the partnership for a taxation year or fiscal period.” ...
Article Summary

Tim Barrett, Kevin Duxbury, "Corporate Integration: Outbound Structuring in the United States After Tax Reform", 2018 Conference Report (Canadian Tax Foundation), 18:1-76 -- summary under Subsection 91(4)

. [A] Canadian taxpayer that indirectly holds an interest in an LLC through a shareholder affiliate would be entitled to a deduction under 91(4) for tax paid by the shareholder affiliate in respect of FAPI earned by the LLC. ...
Article Summary

Tim Barrett, Kevin Duxbury, "Corporate Integration: Outbound Structuring in the United States After Tax Reform", 2018 Conference Report (Canadian Tax Foundation), 18:1-76 -- summary under Subsection 91(5)

. Double taxation for corporate LLC members until dividend (p. 18:27) [U]nlike individual members, corporate members are effectively subject to double taxation on FAPI inclusions until the income is repatriated. ...
Article Summary

H. Michael Dolson, "Can a Tax Refund Be Paid to a Third Party? Section 116 and Foreclosures", Canadian Tax Focus, Vol. 10, No. 2, May 2020, p. 8 -- summary under Section 67

. Potential for taxpayers to direct where their tax refunds are paid (p. 9) This is a sensible, practical decision that points to the failure of section 116 to contemplate court-ordered sales of property. ...
Article Summary

David Carolin, Manu Kakkar, "Are Persons Related to Themselves? CGE Planning and the 24-Month Holding Period Rule", Tax for the Owner-Manager, Vol. 21, No. 4, October 2021, p. 3 -- summary under Subparagraph 110.6(14)(c)(ii)

On a subsequent sale by the trust of the shares to a third party, the QSBC definition would require that the shares have been owned by the trust, or a person related to the trust, for the prior 24-month period and in this regard, s. 110.6(14)(c)(ii) provides that where a person who sold shares to a trust was related to all the beneficiaries, that person and the trust are deemed to have been related for the above purpose. ...
Article Summary

Lorenzo Bonanno, "Problems with Fiscal Period of Partnerships and Subsection 249.1(1)", Canadian Tax Focus (Canadian Tax Foundation), Vol. 12, No. 1, February 2022, p. 4 -- summary under Paragraph 249.1(1)(d)

Thus for example, if a partnership (with corporate partners which are not professional corporations) is formed on December 29, 2021, it must close off its first fiscal year on December 31, 2021 (in which case it could incur penalties under s. 162(7.1) of up to $2,500 if it forgets to file a return for that three-day year) or, alternatively, it most close off its year at some later date partway through 2022 (e.g., June 30, 2022) and apply to CRA pursuant to s. 249.1(7) for advance permission to change the second fiscal period end to December 31, 2022. ...

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