(3)-(29)

Subsection 20(3) - Borrowed money

Cases

The Queen v. Shore, 92 DTC 6059 (FCTD)

The taxpayer and his wife gave a mortgage on their Thamesford home to raise approximately $42,000 for use in their new business. They then sold...

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Administrative Policy

24 August 1994 T.I. 942051 (C.T.O. "Interest Deductibility")

Where the assets of a proprietorship are transferred to a corporation for consideration including a note payable, interest on money borrowed by...

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5 January 1993 T.I. (Tax Window, No. 28, p. 10, ¶2395)

Where a loan subject to s. 20.2(2) is refinanced, s. 20(3) will apply to treat the new loan as a continuation of the old loan.

Subsection 20(4) - Bad debts from dispositions of depreciable property

Cases

Picadilly Hotels Ltd. v. The Queen, 78 DTC 6444, [1978] CTC 658 (FCTD)

It was found that some default in payments by a purchaser of depreciable property, and some doubts by the taxpayer-vendor as to the purchaser's...

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Belle-Isle v. MNR, 64 DTC 5041 (Ex Ct), briefly aff'd 66 DTC 5100, [1966] R.C.S. 354

After finding that the taxpayer has sold depreciable property for proceeds of disposition in excess of the original capital cost, Dumoulin J....

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Administrative Policy

4 September 1991 T.I. (Tax Window, No. 10, p. 17, ¶1473)

A parent corporation is not entitled to a deduction under s. 20(4) to which a subsidiary would have been entitled if it had not been wound-up into...

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IT-220R2 "Capital Cost Allowance - Proceeds of Disposition of Depreciable Property" under "Bad Debts"

Subsection 20(5) - Sale of agreement for sale, mortgage or hypothecary claim included in proceeds of disposition

Administrative Policy

IT-323 "Sale of Mortgage Included in Proceeds of Disposition of Depreciable Property"

Subsection 20(7) - Where para. (1)(m) does not apply

Paragraph 20(7)(a)

Cases

Sears Canada Inc. v. The Queen, 86 DTC 6304, [1986] 2 CTC 80, 86 DTC 6304 (FCTD), aff'd 89 DTC 5039 (FCA)

It was found that an obligation to indemnify can exist where the obligation is not to pay monetary compensation but rather is one to perform an...

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Amesbury Distributors Ltd. v. The Queen, 85 DTC 5076, [1984] CTC 667 (FCTD)

It was found, obiter, that a deduction under s. 20(1)(m)(ii) in respect of the estimated future costs of providing after-sales servicing of...

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Mister Muffler Ltd. v. The Queen, 74 DTC 6615, [1974] CTC 813 (FCTD)

In consideration of charging a customer $1.00 more for the replacement of a muffler, the taxpayer undertook to replace a defective muffler free of...

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See Also

Redhead Equipment Ltd. v. The Queen, 2001 DTC 429 (TCC)

As part of a warranty program provided by the manufacturer of graders, the taxpayer, which was a distributor, was required to inspect graters sold...

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Dubawn Holdings Inc. v. The Queen, 94 DTC 1252 (TCC)

A MURB project promoter who, at the time of sale of MURBs to investors by its subsidiary, received promissory notes of the investors in...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 12 - Subsection 12(1) - Paragraph 12(1)(e) deducted if factually deducted 75

Administrative Policy

89 C.R. - Q.21

No reserve is available to a developer under 20(1)(m) in respect of cash flow guarantee fees.

Subsection 20(10) - Convention expenses

Cases

Graves v. The Queen, 90 DTC 6300 (FCTD)

Business meetings which the taxpayers, who carried on business in partnership as Amway distributors, attended in the United States along with...

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See Also

Shaver v. The Queen, 2003 DTC 2112, 2004 TCC 10

Expenses incurred by the taxpayer, an Amway distributor, in attending "business training seminars" in Canada and the U.S. were found to be capital...

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Words and Phrases
convention

Administrative Policy

1 March 2013 External T.I. 2013-0477911E5 - Expenses to host employees and spouses at a resort

A taxpayer intends to offer employees and their spouses an all-expenses-paid week-long trip to a resort located outside of North America, in which...

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Articles

Novek, "Convention Expenses Are Subject to Territorial Limitations", Taxation of Executive Compensation and Retirement, February 1992, p. 557.

Subsection 20(11) - Foreign taxes on income from property exceeding 15%

Administrative Policy

3 February 2016 External T.I. 2014-0548111E5 - U.S. tax paid in respect of an LLC's income

Mr. A, Canadian resident and citizen, was a member of an LLC carrying on a U.S. active business and which was treated as a partnership for Code...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 88 - Subsection 88(3) - Paragraph 88(3)(d) no deemed dividend 133
Tax Topics - Income Tax Act - Section 126 - Subsection 126(7) - Non-Business-Income Tax LLC tax paid by Cdn member not re business 169
Tax Topics - Income Tax Act - Section 20 - Subsection 20(12) s. 20(14) deduction for US operating-income taxes imposed on Cdn LLC member even where his only Cdn income from LLC is taxable capital gain 439
Tax Topics - Income Tax Act - Section 126 - Subsection 126(1) FTC for US operating-income taxes imposed on Cdn LLC member even where his only Cdn income from LLC is taxable capital gain 331
Tax Topics - Treaties - Article 24 Treaty sourcing rule does not trench on domestic FTC 215

10 June 2013 STEP CRA Roundtable, 2013-0480301C6 - 2013 STEP CRA Roundtable – Question 4

" A U.S. citizen is required to pay U.S. tax on dividends and capital gains at a 20% rate (increased from the previous 15% rate). Does this...

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Locations of other summaries Wordcount
Tax Topics - Treaties - Article 24 117

10 June 2013 STEP Roundtable, 2013-0480371C6 - 2013 STEP Question 13 - US LLCs and 20(11)

US tax is paid on the income of an LLC by an individual resident in Canada to which the LLC is not a controlled foreign affiliate (so that its...

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3 March 1997 Memorandum 964132

Discussion of the interaction of s. 20(11) and paragraph 5 of Article XXIV of the U.S. Convention.

Locations of other summaries Wordcount
Tax Topics - Treaties - Article 24 20

84 C.R. - Q.34

Income received by beneficiaries of a Canadian resident trust earning income from foreign real property is income from a "property that is an...

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IT-506 "Foreign Income Taxes as a Deduction from Income"

Articles

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

Non-deductibility on general principles (p.6)

Subsections 20(11) and 20(12) specifically override the limitation in paragraph 18(l)(a) which would...

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Subsection 20(12) - Foreign non-business income tax

Cases

FLSmidth v. The Queen, 2013 DTC 5118 [at 6147], 2013 FCA 160, aff'g infra

In order to finance the acquisition of U.S. companies, the taxpayer utilized a tower structure:

  • The taxpayer held a 98.9% interest in a U.S....

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See Also

FLSmidth Ltd. v. The Queen, 2012 DTC 1052 [at 2745], 2012 TCC 3, aff'd 2013 DTC 5118 [at 6147], 2013 FCA 160

In order to finance the acquisition of U.S. companies, the taxpayer set up a tower structure. See above for details.

For U.S. tax purposes, GL&V...

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Kaiser v. MNR, 91 DTC 1057 (TCC)

Subsection 20(12) was found to be limited to the computation of income from a business or property, and did not permit a deduction from employment...

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Locations of other summaries Wordcount
Tax Topics - Statutory Interpretation - Headings 48

Administrative Policy

3 February 2016 External T.I. 2014-0548111E5 - U.S. tax paid in respect of an LLC's income

Mr. A, Canadian resident and citizen subject to a Canadian marginal rate of tax of 50%, was a member of an LLC carrying on a U.S. active business...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 88 - Subsection 88(3) - Paragraph 88(3)(d) no deemed dividend 133
Tax Topics - Income Tax Act - Section 126 - Subsection 126(7) - Non-Business-Income Tax LLC tax paid by Cdn member not re business 169
Tax Topics - Income Tax Act - Section 20 - Subsection 20(11) only income was taxable capital gains 136
Tax Topics - Income Tax Act - Section 126 - Subsection 126(1) FTC for US operating-income taxes imposed on Cdn LLC member even where his only Cdn income from LLC is taxable capital gain 331
Tax Topics - Treaties - Article 24 Treaty sourcing rule does not trench on domestic FTC 215

15 December 2015 Internal T.I. 2014-0560371I7 - Subsection 20(12) deduction

Taxpayer, a U.S. citizen and Canadian resident, owns a portion of the shares of a Canadian unlimited liability company (“ULC”), which is...

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7 March 2016 Internal T.I. 2015-0572461I7 - Foreign tax deduction

A Canadian-resident individual owns an interest in a Canadian LP (“LP”), that owns an interest in a U.S. LP (“Holding LP”), which has...

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11 June 2013 STEP Roundtable, 2013-0480321C6 - 2013 STEP Question 6 US LLCs - FAPI, FAT and FTCs

Is the US tax paid by a Canadian-resident taxpayer on the income (which also is foreign accrual property income) of an LLC which is owned by it...

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28 May 2013 Internal T.I. 2013-0476381I7 - Deemed Resident Trusts & Foreign Tax Credit

A deemed-resident s. 94 trust realized a capital gain and incurred gains tax of $10,000 for U.S. purposes on disposing in the U.S. of marketable...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 126 - Subsection 126(1) no pro-ration of FTC by s. 94 trust where Canadian gain was smaller than US gain 295
Tax Topics - Income Tax Act - Section 94 - Subsection 94(3) - Paragraph 94(3)(b) 295

18 July 2011 Internal T.I. 2011-0394631I7 - Foreign non-business income tax

Canco, and its wholly-owned subsidiary, Cansubco, are the 99.9% and 0.1% partners of USLP, which is a partnership for Canadian purposes and has...

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1 October 2008 T.I. 2006-0174701E5

A U.S. citizen immigrates to Canada having previously established a U.S. grantor trust, whose investments are not taxable Canadian property and...

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22 July 2008 Internal T.I. 2008-0284351I7 - Subsection 20(12)

A Canadian resident individual taxpayer reported the income (which was not distributed) of a wholly-owned S Corporation in his U.S. tax return in...

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Words and Phrases
paid for the year

10 January 2005 External T.I. 2004-007593

A member of a partnership has been allocated a proportionate share of the non-business income tax paid to a foreign government with respect to...

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19 March 2004 External T.I. 2003-003730

"Amounts received out of an IRA are treated as pension income under paragraph 56(1)(a) of the Act and under the Treaty and not as income from a...

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10 April 2003 External T.I. 2003-0003095

May foreign tax attributable to a taxable capital gain be deducted under s. 20(12), notwithstanding that capital gains are not income from...

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21 February 2000 T.I. 1999-0010295

A Canadian-resident individual holds all the shares of a Nova Scotia ULC which, in turn, owns all the shares of a U.S. LLC. The ULC and LLC are...

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10 February 1993 Memo 9300776

After noting that under the "current" (pre-1992) version of s. 20(12) "a subsection 20(12) deduction does not have to be sourced against a...

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20 November 1992 T.I. 123456 (September 1993 Access Letter, p. 410, ¶C20-1160)

A Canadian exporter that exports to a particular country without carrying on business there and is subject to an income tax of that country, will...

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October 1992 Central Region Rulings Directorate Tax Seminar, Q. J (May 1993 Access Letter, p. 231)

Because the deduction is only available in the computation of income from a business or property, foreign tax paid on the disposition of a foreign...

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25 March 1991 Memo 7-4727

US withholding taxes paid on the redemption of preference shares of a US subsidiary qualified as income or profits taxes within the meaning of s....

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 126 - Subsection 126(7) - Non-Business-Income Tax US withholding on share redemption was income tax 81

88 C.R. - Q.57

As s. 20(12) provides for a deduction from income and not from tax, Conventions which provide for "a deduction from the tax on the income of that...

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16 July 1985 Memo 7-4095

After noting that "U.S. consent dividends are not dividends received for purposes of section 90, that "where a U.S. corporation withholds and...

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Subsection 20(14) - Accrued bond interest

Cases

Canada v. Antosko, 94 DTC 6314, [1994] 2 S.C.R. 312

On March 1, 1975 the taxpayers acquired all of the common shares of the New Brunswick Industrial Finance Board in a company that manufactured...

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See Also

Mitchell v. The Queen, 96 DTC o (TCC)

Accrued but unpaid interest on bonds of the taxpayer that it purchased in the open market was not deductible by it under s. 20(14) because "a...

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Badshah B. Husain v. Minister of National Revenue, 91 DTC 278, [1991] 1 CTC 2266 (TCC)

In finding that the taxpayer was not entitled to a deduction under paragraph 20(14)(b) in respect of interest that had accrued on a bond while it...

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Administrative Policy

92 C.R. - Q.1

Where a taxable transferee acquires a debt obligation from a non-taxable transferor, a deduction may be available to the transferee if the accrued...

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90 C.R. - Q.13

The transferee will be entitled to deduction of interest pursuant to s. 20(14)(b) only to the extent that the interest is included in the income...

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Articles

Ewens, "Debt-for-Debt Exchanges", 1991 Canadian Tax Journal, p. 615

Ulmer, "Taxation of Interest Income", 1990 Conference Report, pp. 8:19-20

Subsection 20(16) - Terminal loss

Cases

May Bros. Farm Ltd. v. The Queen, 92 DTC 6342 (FCA)

On December 13, 1977 a corporation ("Bell") leased 200 acres of cranberry lots from another corporation ("Wingly") under a lease which expired on...

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See Also

Benedict v. The Queen, 2012 DTC 1170 [at 3419], 2012 TCC 174 (Informal Procedure)

When the taxpayer filed his 2007 return, the capital cost allowance schedule attached to his return showed a terminal loss arising in the year...

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Greater Toronto Airports Authority v. International Lease Finance Corp. (2004), 69 OR (3d) 1 (CA)

S.55(2) of the Civil Air Navigation Services Commercialization Act (Canada), which provided that "'owner', in respect of an aircraft, includes ......

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Administrative Policy

93 C.P.T.J. - Q.25

The words "where at the end of a taxation year" keep the UCC of a particular class open during the year in the event of additional purchases of...

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13 May 1991 T.I. (Tax Window, No. 3, p. 15, ¶1231)

Where a taxpayer, whose only leasehold improvements (Class 13) were with respect to office space in a building, moves to a new building in which...

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Subsection 20(16.1)

Subsection 20(21) - Debt obligation

Administrative Policy

19 March 1992 Memorandum (Tax Window, No. 18, p. 6, ¶1820)

S.20(21) does not apply in cases of bankruptcy as it is only meant to apply to over-accruals.

Articles

Ewens, "Debt-for-Debt Exchanges", 1991 Canadian Tax Journal, p. 615: Discussion of potential deduction to holders of debentures in a target corporation for arrears of interest realized under s. 76(1).

Subsection 20(24) - Amounts paid for undertaking future obligations

Administrative Policy

2015 Ruling 2014-0552871R3 - Split-Up Butterfly

In connection with the butterfly split-up of DC equally between the family holding companies for two unrelated families, the assumption of...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 55 - Subsection 55(1) - Distribution post-butterfly sale of distributed shares by TC1 to TC2/disproportionate split of CDA/assumption of prepaid rent (for which a 20(24) election) treated as boot 773
Tax Topics - Income Tax Act - Section 55 - Subsection 55(2.1) - Paragraph 55(2.1)(b) post-butterfly sale of distributed shares by one TC to the other 63

8 December 2010 External T.I. 2010-0375921E5 - Subsection 20(24)

A Canadian-resident Vendor agreed to sell all the assets of its business, having a fair market value of $1,000, to the Canadian-resident...

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7 March 2005 External T.I. 2005-011498

"We are of the view that subsection 20(24) of the Act may also apply to a transferred obligation for which an amount has been included in the...

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20 November 2003 External T.I. 2003-003354

As a partnership may be regarded as a taxpayer for purposes of s. 20(24), where a partnership that is being dissolved pays to the surviving...

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15 November 1999 External T.I. 5-992458

Discussion of the application of s. 20(24) where one corporation that has received prepaid rent on a leased building transfers the building to a...

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Locations of other summaries Wordcount
Tax Topics - Income Tax Act - Section 12 - Subsection 12(1) - Paragraph 12(1)(x) lowering of sale price 86

June 1991 Memorandum (Tax Window, No. 4, p. 18, ¶1274)

Discussion of different ways to handle the assumption of take-or-pay obligations on the sale of a resource property.

22 April 1991 Memorandum (Tax Window, No. 2, p. 24, ¶1192)

A vendor is not permitted to deduct an amount paid by it to compensate the purchaser for the assumption of contingent liabilities of the vendor...

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5 June 1990 TI File 7-4678

In the normal case where the sale of a business occurs on capital account, the vendor would not be able to deduct a payment described in s. 20(24)...

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Articles

Ron Choudhury, "Non-Resident Issues in Acqusition Transactions", 2005 Conference Report (Canadian Tax Foundation), 42:9-16.

Bergen, "Purchase and Sale of Assets: An Update", 1996 Corporate Management Tax Conference Report, pp. 3:6-8.

Subsection 20(29) - Idem [Deduction before available for use]

Administrative Policy

13 April 1992 T.I. (Tax Window, No. 18, p. 13, ¶1843)

Where a taxpayer incurs soft costs in respect of an addition to an existing building, the deduction under s. 20(29) is restricted to the...

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