26 July 1989 Administrative Letter 74046 F - Deferred Profit Sharing Plan

By services, 18 January, 2022
Official title
Deferred Profit Sharing Plan
Language
French
CRA tags
147(9.1), 147(2)(k), 147(15)
Document number
Citation name
74046
Severed letter type
d7 import status
Drupal 7 entity type
Node
Drupal 7 entity ID
631557
Extra import data
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"field_release_date_new": "1989-07-26 08:00:00",
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Main text
  July 26, 1989
Registered Pension and Deferred Financial Industries Division 
Income Plans Division F. Francis
  957-3496
Attention:  B. Bertrand
  File No. 7-4046

Subject: 24(1) Deferred Profit Sharing Plan ("DPSP")

This is in reply to your memorandum of March 28, 1989, wherein you requested our opinion in respect of the following situation:

-     24(1)

-      Subsection 147(9.1) of the Income Tax Act (the "Act") provides that for taxation years commencing after 1981, no deduction can be made in computing the income of the employer for a taxation year in respect of an amount paid by him to a DPSP in respect of a beneficiary described in paragraph 147(2)(k. of the Act.  Contributions to the DPSP appear to have ceased in accordance with subsection 147(9.1) of the Act.

-

-      24(1)

The amounts withdrawn by the company are as follows:

24(1)

24(1)

You request us to advise you of the tax consequences to the shareholders and the Company.

Pursuant to subsection 147(15) of the Act, the following rules will apply to the revoked plan

-      the revoked plan is deemed not to be a DPSP or an employee profit sharing plan as of September 30, 1984.

-      the trust is taxable on its taxable income for its 1984 and subsequent taxation year.

-      the funds withdrawn by the Company will be included in its income in the year of withdrawal.

We trust the above comments will be of assistance to you.

Yours truly,

for DirectorFinancial Industries DivisionRulings Directorate