5-8512
A.B. Adler
(613) 957-896219(1)
September 26, 1989
Dear Sirs:
This is in reply to your letter of August 11, 1989 in which you requested our views whether a U.S. trust that is an Individual Retirement Account ("IRA") could be exempt from Canadian withholding tax on Canadian source dividend and interest income by reason of Article XXI, paragraph 2, of the Canada-United States Income Tax Convention, 1980 ("Convention").
In our view a U.S. trust that is an IRA may qualify for any possible exemption from withholding taxes on Canadian source dividend and interest it will be necessary for the payer of such amounts to obtain a photocopy of the letter of exemption from the IRA trust which letter would be issued by this Department. The procedures to be followed in order to obtain such exemption are set out in paragraph 76 of our Information Circular, No. 77-16R3.
We trust that our comments will be of assistance to you.
Yours truly
for Director Financial Industries Division Rulings Directorate