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Article Summary

Manjit Singh, Andrew Spiro, "The Canadian Treatment of Foreign Taxes", 2014 Conference Report, (Canadian Tax Foundation), 22:1-37 -- summary under Article 24

[fn 48: OECD Commentary… states that the state of residence should grant a credit in situations where a payment is characterized differently for purposes of an applicable treaty under source state and residence state law. …] Creditability where domestic Treaty override (p.9) Where the source state's domestic law expressly provides for taxation in contravention of a treaty, the treaty crediting mechanism would likely not apply (assuming the relevant treaty rule follows the OECD Model, which provides for a credit in respect of tax imposed "in accordance with the treaty"). ... [fn 50: 2003-0019751E5 ….] Arguably, this analysis could also be applied where foreign tax is imposed in contravention of a treaty under a domestic anti-treaty shopping rule. ...
Article Summary

Gregory M. Johnson, Wesley R. Novotny, "An Update on Flow-through Shares in the Energy Sector", 2016 Conference Report (Canadian Tax Foundation),12:1-39 -- summary under Paragraph 6202.1(1)(c)

. All subscription agreements will generally have a covenant that the PBC will indemnify FTS holders if the tax deductions promised are not delivered.... ... [f.n. 105 Care must be taken in using the escrow approach with the lookback rule. [I]t may be necessary for the escrow agreement to provide that the amount that the PBC has been spent on or before December 31 of the first year (at the latest) will be released to the PBC in return for FTS, with the remaining unspent amounts being returned to the investors.] …...In such a case, are the investors actually putting their invested funds at risk? ... [f.n. 106 "Revenue Canada Roundtable" 1988, question 23…] ...
Article Summary

Steve Suarez, "Canada's 88(1)(d) Tax Cost Bump: A Guide for Foreign Purchasers", Tax Notes International, December 9, 2013, p. 935 -- summary under Subparagraph 88(1)(d)(ii.1)

Steve Suarez, "Canada's 88(1)(d) Tax Cost Bump: A Guide for Foreign Purchasers", Tax Notes International, December 9, 2013, p. 935-- summary under Subparagraph 88(1)(d)(ii.1) Summary Under Tax Topics- Income Tax Act- Section 88- Subsection 88(1)- Paragraph 88(1)(d)- Subparagraph 88(1)(d)(ii.1) Summary of s. 88(1)(d)(ii.1) Expressed conceptually, the FMV of the partnership interest is deemed to be reduced by an amount representing that portion of the subsidiary's accrued gain on the partnership interest that is attributable to the sum of: the FMV of Canadian or foreign resource property owned by the partnership (directly or through other partnerships); and the difference between the FMV and cost amount of other forms of non-eligible property (for example, depreciable property or inventory) owned by the partnership, either directly or through other partnerships. ... Since the notional gains on the non-eligible property represent five-sixths ($25 / ($5 + $25)) of the total accrued gain ($30), for this purpose the FMV of the partnership interest ($100) is reduced by $25 (five-sixths of the $30 accrued gain on the partnership interest)] This means that the maximum s. 88(1)(d) bump on such partnership interest would be $5 ($75-$70). ...
Article Summary

Tu Vu, "Application of Disproportionate UFT Election", Canadian Tax Focus, Vol. 11, No. 4, November 2021, p. 15 -- summary under Paragraph (b)

If an s. 88(3.3) suppression election is not available or used, and an s. 93(1) election is made, then absent further planning, $5,000 (($350 $300) × 100) is deemed to be a dividend, and there is an s. 113(1)(b) deduction of $3,000, for a resulting taxable income inclusion of $2,000. ... Thus, Canco would claim additional UFT of $667, resulting in an additional deduction of $2,000 ($667 × 3) under s. 113(1)(b), thereby completely eliminating the dividend income. ...
Administrative Policy summary

T4068(E) Guide for the Partnership Information Return (T5013 Forms) -- summary under Subsection 118.1(8)

T4068(E) Guide for the Partnership Information Return (T5013 Forms)-- summary under Subsection 118.1(8) Summary Under Tax Topics- Income Tax Act- Section 118.1- Subsection 118.1(8) Partnership donations treated as made by the partners Chapter 8 T5013 schedules T5013 SCH 1, Net Income (Loss) for Income Tax Purposes Filling out the T5013 SCH 1 Line 112 Charitable donations and gifts from the T5013 SCH 2 Charitable donations and gifts The eligible amount of the charitable donations and other gifts are eligible for non-refundable tax credits for individuals and deductions for corporations. ...
Administrative Policy summary

T4068(E) Guide for the Partnership Information Return (T5013 Forms) -- summary under Subsection 110.1(4)

T4068(E) Guide for the Partnership Information Return (T5013 Forms)-- summary under Subsection 110.1(4) Summary Under Tax Topics- Income Tax Act- 101-110- Section 110.1- Subsection 110.1(4) Partnership donations treated as made by the partners Chapter 8 T5013 schedules T5013 SCH 1, Net Income (Loss) for Income Tax Purposes Filling out the T5013 SCH 1 Line 112 Charitable donations and gifts from the T5013 SCH 2 Charitable donations and gifts The eligible amount of the charitable donations and other gifts are eligible for non-refundable tax credits for individuals and deductions for corporations. ...
Article Summary

John Tobin, "Infrastructure and P3 Projects", 2017 Conference Report (Canadian Tax Foundation), 10:1-31 -- summary under Subsection 13(7.1)

[fn 21: 2003-0051741R3, 2004, as supplemented by… 2004-0105611R3 …] This policy was adopted when the customary amount of the “interim payments” was not substantial in the context of total project cost. ... Instead, such amounts are income as received …[fn 23 IT-464R …quoted in 2012-045508117]. ...
Article Summary

Manjit Singh, Andrew Spiro, "The Canadian Treatment of Foreign Taxes", 2014 Conference Report, (Canadian Tax Foundation), 22:1-37 -- summary under Subsection 126(1)

[fn 50: 2003-0019751E5 ….] Arguably, this analysis could also be applied where foreign tax is imposed in contravention of a treaty under a domestic anti-treaty shopping rule. ...
Article Summary

Lorne Richter, "ECP Transitional Rules and 2016 Asset Sales", Canadian Tax Highlights, Vol. 24, No. 7, July 2016, p. 12 -- summary under Paragraph 13(38)(d)

[See now draft amendment to s 89(1) CDA (c.2)(i).] ...
Article Summary

Elie Roth, Tim Youdan, Chris Anderson, Kim Brown, "Taxation of Trusts Resident in Canada", Chapter 3 of Canadian Taxation of Trusts, (Canadian Tax Foundation), 2016. -- summary under Subsection 112(3.2)

[fn 73: 2011-0414731E5 …] Assuming that the CRAs interpretation is correct, subsections 112(3) to (7) would not apply in respect of a capital dividend that is deemed to be paid under paragraph 84.1(1)(b). 50% solution addressing s. 112(3.2) (p. 143) [i]t many be preferable to redeem shares owned by an estate through a combination of capital dividends and taxable dividends pursuant to the so-called 50 percent solution strategy. ...

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