23 October 1989 Ministerial Correspondence 58724 F - Inclusion in Beneficiary's Income of Amount Payable in the Year by Non-resident Trust

By services, 18 January, 2022
Official title
Inclusion in Beneficiary's Income of Amount Payable in the Year by Non-resident Trust
Language
French
CRA tags
104(13)(c), 104(24)
Document number
Citation name
58724
Severed letter type
d7 import status
Drupal 7 entity type
Node
Drupal 7 entity ID
633717
Extra import data
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"field_external_guid": [],
"field_proprietary_citation": [],
"field_release_date_new": "1989-10-23 08:00:00",
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Main text
19(1) File No. 5-8724
  F. Francis
  957-3496

October 23, 1989

Dear Sirs:

This is in reply to your letter of September 25, 1989 wherein you requested our opinion in respect of paragraph 104(13)(c) of the Income Tax Act (the "Act").

Paragraph 104(13)(c) of the Act provides for the taxation of all amounts payable in the year by a non-resident trust to a Canadian beneficiary unless the amounts fall into the two exceptions noted therein.

You state that, as noted in Interpretation Bulletin 342, it is accepted treatment that income of a trust which is paid or payable to a beneficiary is considered to have been earned by the beneficiary on the last day of the trust's taxation year. You enquire as to whether this treatment will apply in respect of paragraph 104(13)(c) of the Act.

It is our opinion that, by virtue of subsection 104(24) of the Act, the amount payable in the year by the non-resident trust would be included in the beneficiary's income in the beneficiary's taxation year that he received it or was entitled to enforce payment thereof.

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

Yours truly,

for DirectorFinancial Industries DivisionRulings Directorate