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Abstract

Recently, the Canada Revenue Agency (CRA) announced it was changing its policy for determining whether shares of a corporation will be considered TCP. the CRA said the determination of "whether a share derives its value principally from real or immovable property situated in Canada should be made by reference to the value of the properties of the company without taking into account its debts or other liabilities". The CRA acknowledged this gross asset value test is different from its past position, but noted that it is consistent with the real property test in Canada's tax treaties. This new position will initially apply to dispositions of properties acquired after 2011. As of January 1 2013, the determination of TCP for all dispositions will be subject to the gross asset value test.

Details

Title
Canada: CRA changes position on grounds for taxing capital gains of non-residents
Pages
n/a
Publication year
2012
Publication date
Mar 2012
Publisher
Euromoney Institutional Investor PLC
ISSN
09587594
Source type
Scholarly Journal
Language of publication
English
ProQuest document ID
955179700
Copyright
( (c) Euromoney Institutional Investor PLC Mar 2012)