30 June 1989 Ruling 73783 F - Stripped Bonds

By services, 18 January, 2022
Official title
Stripped Bonds
Language
French
CRA tags
ITR 201, 202, 203, 204, 207, 220, 230(1) 234,
Document number
Citation name
73783
Severed letter type
d7 import status
Drupal 7 entity type
Node
Drupal 7 entity ID
631014
Extra import data
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"field_release_date_new": "1989-06-30 08:00:00",
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Main text
  June 30, 1989
Policy & Systems Branch Legislation & Intergovernmental
J.M. Legault Affairs Branch
Director Leasing and Financing Section
Returns Processing Division K. Donnelly
  957-3500
Attention:  Rick Sequin
  File No. 7-3783

Subject:  Reporting Requirements Stripped Bonds

We are replying to your memorandum of March 29, 19979, requesting that we reply to the following questions:

"1.     What reporting requirements, if any, exist under the Income Tax Act and Regulations, for transactions involving the disposition of:

(a)     coupons bonds in their entirety (bonds whose coupons are not stripped),

(b)     coupons stripped from bonds and sold separately at a discount, and

(c)     the bond residue, once the coupons are stripped?

2.     Are the reporting requirements, is any, changed by the method of issue (bearer or registered form)?"

The reporting requirements that may under the Income Tax Act (the Act) and Regulations apply with respect to the transactions described in your questions can probably be found in one or more of the following subsections of the act and Regulations:

Subsection 234(1) and 234(3) of the Act

Regulations: 201(1)(b)(i)201(e)(d) 201(2), 201(3) 202(1)(a)  202(3), 202(6), 202(7)203(1), 204(1) 207(1), 207(3)220(1)

Draft Regulation 230.(1)

Which provision described above applies at any time will depend on the precise details of each transaction.  it is a question of fact in each situation whether or not transactions in strip coupons and strip bonds at a discount result in interest income and/or related reporting requirements.

We regret that we are unable to provide you with simple comprehensive answers.  However, the law with respect to discounts is unclear.  In addition there is a variety of details involving a bond and coupon dispositions.

Whether or not one or more of the above noted provisions would apply in all circumstances involving strip coupons or bonds, is uncertain.  Consequently we would be prepared to review specific documents to determine what if any reporting requirement exist in the Act or Regulations.

ChiefLeasing and Financing SectionFinancial Industries Division