20 February 1992 Administrative Letter 9202996 F - RRSP Trust — Death of Annuitant

By services, 7 July, 2022
Official title
RRSP Trust — Death of Annuitant
Language
French
CRA tags
146(1) spouse, 146(4), 104(6), 146(8.8), 104(13)
Document number
Citation name
9202996
Severed letter type
d7 import status
Drupal 7 entity type
Node
Drupal 7 entity ID
649803
Extra import data
{
"field_external_guid": [],
"field_proprietary_citation": [],
"field_release_date_new": "1992-02-20 07:00:00",
"field_tags": []
}
Main text

 

 

  7-920299
  D. Duff
  957-8953

February 20, 1992

W. A. Mizuik     Chief Rulings DirectorateT3 Programs Section     T2 & T3 Programs Division

Attention:  Aileen Wade

RRSP Trusts; Tax Reporting after Death of Annuitant

This is in response to your memorandum of January 29, 1992 requesting that we review your proposed reply to 24(1)

After reviewing the aforementioned draft we do not see any inaccuracies in it.

You also had specific questions related to the situation where the annuitant of an unmatured trusteed RRSP dies and the surviving spouse is the beneficiary under the plan.  Pursuant to the definition of spouse in paragraph 146(1)(a) there is only one annuitant under the plan prior to maturity, and this is the person for whom the retirement income is to be provided.  It is only for matured plans that the surviving spouse, if named the beneficiary, automatically becomes the annuitant on the death of the first annuitant.  Consequently, for unmatured trusteed plans there is only one annuitant and when he dies the trust will become taxable at the beginning of the next calendar year. 

for DirectorFinancial Industries DivisionRulings Directorate