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Conference summary
7 October 2020 APFF Roundtable Q. 17, 2020-0845821C6 F - Part IV tax and trust -- summary under Subsection 104(19)
Q.17(c) After noting that it “generally accepts that the time at which an amount becomes payable to a recipient is the earlier of the time of payment or the time at which the recipient is entitled to enforce payment of it,” and that “a taxpayer does not have to be a beneficiary of a trust throughout the taxation year of the trust in which an amount becomes payable to the taxpayer in order for that amount to be included in computing the beneficiary's income pursuant to subsection 104(13),” CRA found that since: the $5,000 was paid on September 20, 20X1 by the Trust to Holdco, who was a beneficiary of the Trust at that time, that amount may therefore be considered to have become payable to Holdco on that date for the purposes of paragraph 104(13)(a). ...