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Conference summary
4 June 2024 STEP Roundtable Q. 8, 2024-1007841C6 - Disposition of Property Held in a Bare Trust -- summary under Subparagraph 150(1.1)(b)(ii)
4 June 2024 STEP Roundtable Q. 8, 2024-1007841C6- Disposition of Property Held in a Bare Trust-- summary under Subparagraph 150(1.1)(b)(ii) Summary Under Tax Topics- Income Tax Act- Section 150- Subsection 150(1.1)- Paragraph 150(1.1)(b)- Subparagraph 150(1.1)(b)(ii) a disposition by a bare trust, or the trust’s winding-up, generally is not a disposition under the ITA A bare trust (not described in (a) to (e.1) of s. 108(1) – trust) holds no property in the year other than a Cdn.$10,000 government bond and money, not exceeding Cdn.$50,000 in the year, so that it satisfies s. 150(1.2)(b). ...
Technical Interpretation - External summary
27 June 2024 External T.I. 2023-1000391E5 - BC Secondary Suite Incentive Program -- summary under Principal Residence
Although the ordinarily-inhabited condition under the principal residence definition would not generally be met for the Secondary Suite while being rented to third parties, where it was subject to the s. 45(2) election it could nonetheless qualify as the taxpayer’s principal residence for up to four taxation years during which the election remained in effect – so that the homeowner would be able to choose for such a year to designate the Secondary Suite rather than the balance of the property as that taxpayer’s principal residence. ...
Technical Interpretation - External summary
21 October 2024 External T.I. 2024-1027501E5 - Stacking of investment tax credits and CCA -- summary under Subsection 13(1)
., the actual capital cost grossed-up to $15,000,000 and multiplied by the 50% Class 43.2 rate); It claims the Nova Scotia Capital Investment Tax Credit (“NS CITC”) of 25% of the $10,000,000 capital cost, or $2,500,000 and receives it by way of credit or refund; It claims and receives the Clean Technology Investment Tax Credit (“Clean Tech ITC”) pursuant to s. 127.45, which is calculated as 30% of the capital cost, as reduced by the NS CITC, viewed as government assistance that it can “reasonably be expected to receive” (on December 31, 2024, receipt of the NS CITC is contingent on it receiving, by its filing-due date, an entitlement certificate); It claims an Atlantic Investment Tax Credit (“AITC”) pursuant to s. 127(9) of $750,000, being 10% of the capital cost, again reduced to $7,500,000 by the NS CITC “government assistance” – and receives the AITC by way of credit against federal tax payable in the current year or during the carryforward or carryback period. ...
Technical Interpretation - External summary
2 April 2025 External T.I. 2019-0818321E5 F - Reverse Earnout -- summary under Paragraph 12(1)(g)
The two deferred payments were not made on the agreed dates because of disagreements about the method for their computation. 21 months after the closing date, the parties agreed that a deferred payment of $50,000, rather than $200,000 + $300,000, would be paid. ...
Technical Interpretation - Internal summary
22 July 2008 Internal T.I. 2008-0284351I7 - Subsection 20(12) -- summary under Subsection 20(12)
. … [I]n... Kaiser... 91 DTC 1057...the taxpayer tried [unsuccessfully] to convince the Tax Court that foreign taxes paid on employment income were deductible under subsection 20(12).... ...
Technical Interpretation - External summary
22 August 2014 External T.I. 2014-0540751E5 F - Acquisition of control -- summary under Paragraph 256(7)(a)
. … Opco Before the [above] transfers of shares…Opco was controlled by a related group…consist[ing] of either A and B, or Holdco A and Holdco B. ...
Ruling summary
2012 Ruling 2012-0452821R3 - Forgiveness of debt -- summary under Forgiven Amount
Preliminarily to a Plan of Arrangement: Aco will transfer the Bco Notes (having an adjusted cost base equal to their principal) to a newly-incorporated CBCA corporation (Newco1) in consideration for the issuance of Newco1 common shares Aco will transfer its Newco1 common shares to Bco in consideration for the issuance of a nominal number of Bco common shares the paid-up capital of the Newco1 common shares will be reduced Newco1 will be wound-up into Bco, with Bco making a s. 80.01(4) election a CBCA corporation (New Aco) will be incorporated Under the Plan of Arrangement: convertible debentures owing by Aco will be converted into Aco common shares Aco (and New Aco on its behalf) will deliver or issue cash, Aco senior notes, Aco debentures exchangeable into New Aco common shares and New Aco common shares in exchange for the debt (which is then cancelled) of existing debt holders of Aco – with Aco thereafter issuing first preferred shares and notes to New Aco in consideration for the issuance of the New Aco common shares to such debt holders the pre-Arrangement common and preferred shares of Aco will be purchased by Aco in consideration for the delivery of New Aco common shares and cashless warrants to acquire New Aco common shares Rulings: ss. 40(2)(e.1) and 53(1)(f.1) will apply to the dispositions of the Bco Notes to Newco1, so that their ACB is preserved the extinguishment of the Bco Notes on the winding-up of Bco will not give rise to a forgiven amount (per s. 80.01(4)) interest on the debt issued by Aco to the former debt holders will be deductible provided the interest on the former debt was deductible capital losses arising to Aco under s. 111(4)(d) on the acquisition of its control by New Aco [i.e., because its first preferred shares are voting?] ...
Ruling summary
2014 Ruling 2014-0547491R3 - REIT entering into new LP -- summary under Real Estate Investment Trust
The each will own ½ of the common shares of the "Project General Partner" of New LP and subscribe for an equal number of LP units. ...
Ruling summary
2012 Ruling 2011-0429611R3 - Variation of Trust Indenture -- summary under Paragraph 108(2)(b)
Proposed transactions Although redacted, apparently Trust is amending its Unit terms to make them non-retractable and is eliminating the Special Voting Units from what it is authorized to issue – as well as authorizing the issuance of the Preferred Units. ...
Conference summary
5 October 2012 Roundtable, 2012-0453171C6 F - TFSA - Survivor payments to more than one survivor -- summary under Subparagraph (d)(iii)
Y could generally be allowed …. ...