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Peter Lee, Paul Stepak, "PE Investments in Canadian Companies", draft 2017 CTF Annual Conference paper -- summary under Subsection 212.3(1)

. [I]f a. non-87(11) amalgamation is necessary, what is the FAD consequence? ...
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David H. Sohmer, "Do Shares of an American Company Credited to an Account with a Canadian Broker constitute ‘Specified Foreign Property’?", The Canadian Taxpayer, August 10, 2018. Vol. xl, No 16, p. 121 -- summary under Paragraph (c)

. In 2006 Ontario became the first Canadian province to enact a securities transfers act based on Revised UCC Article 8. ...
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Nik Diksic, Sabrina Wong, "Cross-Border Lending Practices", 2017 CTF Annual Conference draft paper -- summary under Paragraph 212(3.1)(d)

Nik Diksic, Sabrina Wong, "Cross-Border Lending Practices", 2017 CTF Annual Conference draft paper-- summary under Paragraph 212(3.1)(d) Summary Under Tax Topics- Income Tax Act- Section 212- Subsection 212(3.1)- Paragraph 212(3.1)(d) Cannot benefit from ultimate funder withholding rate if immediate funder rate is higher (p. 11) Consider where NR1 (treaty country [with 10% withholding rate]) has funded CA through NR2 (non-treaty country) and NR3 ([held by NR2 and in a] treaty country [with 0% withholding rate]). ...
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Warren Pashkowich, Daniel Bellefontaine, "Participation-Based Payments: What Are They and How are They Taxed", 2017 Conference Report (Canadian Tax Foundation), 9:1-25 -- summary under Paragraph 12(1)(g)

Partnership interests are property under scheme of Act (p. 9: 10) [S]ince the Act treats a partnership interest as a separate capital property, and dispositions of such interests are taxed to the partner as a sale of capital property and not as though the partner sold a right to the partnership’s assets it would be more appropriate for paragraph 12(l)(g) to generally not apply to dispositions of partnership interests for the same reasons discussed above, in the context of share sales. ...
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Derek T. Dalsin, "ECP-Related CDA Dividend “In the Course of a Winding Up” Pre-2017", Canadian Tax Highlights, Vol. 27, No. 8, August 2019, p. 1 -- summary under Paragraph 88(2)(a)

Dalsin, "ECP-Related CDA Dividend “In the Course of a Winding Up” Pre-2017", Canadian Tax Highlights, Vol. 27, No. 8, August 2019, p. 1-- summary under Paragraph 88(2)(a) Summary Under Tax Topics- Income Tax Act- Section 88- Subsection 88(2)- Paragraph 88(2)(a) No increase to CDA balance from eligible capital amount until year end (p. 1) [I]n order for a capital dividend account (CDA) to arise out of a cumulative ECP gain, there had to be a negative balance in the account at the year-end that included the event …. ...
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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 20(12)

. The Canadian treatment of US taxes paid by Canadian-resident members can lead to adverse tax results when there is a mismatch between the year when US tax is paid, and the year when income is distributed to the member. ...
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Ben Cen, "Planning for FA Distributions Paid Through a Partnership", Canadian Tax Focus, Vol. 10, No. 2, May 2020, p. 6 -- summary under Subsection 92(4)

. [I]f the CRIC disposes of its interest in the partnership, subsection 92(4) may add an amount to the proceeds of disposition if, before that time, the FA paid a dividend to the partnership out of its pre-acquisition surplus (PAS) in respect of which the CRIC claimed a paragraph 113(1)(d) deduction. ...
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David Carolin, Manu Kakkar, "Estate Plans, Trusts, and Dividends: Is There a Gap Here?", Tax for the Owner-Manager, Vol. 21, No. 1, January 2021, p. 1 -- summary under Subsection 104(19)

(p. 1) Potential for subsequent connectedness to exempt a previously paid dividend Suppose, instead, that on March 31, being a day that Opco and Bankco are not connected, a dividend is paid both by Opco to the trust, and by the trust to Bankco but on September 30, a share ownership change results in Opco and Bankco now being connected, so that the CRA position suggests that Pt. ...
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Marie-Pier Maheux, "Dividend Payment Trap: ERDTOH Converted to NERDTOH", Canadian Tax Focus, Vol. 11, No. 1, February 2021, p. 3 -- summary under Subparagraph (a)(ii)

IV tax to the payees aggregating to the same $138,333 but which, crucially, is effectively allocated between the dividend recipients pro rata to the respective dividends: there is Pt. ...
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Jeanne Cheng, "The Small Business Deduction and the AAII Grind: Is It a Real Problem?", Tax for the Owner-Manager, Vol. 21, No. 3, July 2021, pp. 1-2 -- summary under Paragraph 125(5.1)(b)

(p. 1) Although the effect of loss of the SBD is to reduce (for example, by $30,000 federally) the tax deferral benefit of corporate earning of the active business income (ABI), Ontario and New Brunswick did not adopt a matching limitation so that in Ontario, for example, a CCPC earning ABI of $500,000 and AAII of $150,000 can still obtain a tax-deferral benefit at the Ontario level of up to $41,500 annually. ...

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