21 November 1989 Income Tax Severed Letter AC58913 - Charity

By services, 22 July, 2022
Official title
Charity
Language
English
Document number
Citation name
AC58913
Severed letter type
d7 import status
Drupal 7 entity type
Node
Drupal 7 entity ID
657862
Extra import data
{
"field_external_guid": [],
"field_proprietary_citation": [],
"field_release_date_new": "1989-11-21 07:00:00",
"field_tags": []
}
Main text
19(1)                                             5-8913
                                                  R.B. Day
                                                  (613) 957-2136

19(1)

We are writing in reply to your letter of July 12, 1989, and further to your follow-up letter of October 2, 1989, wherein you requested our views regarding the application of section 149.1 of the Income Tax Act where a Charitable organization and /or registered charity (the "registered entity") is a fifty percent partner in a marketing venture in Canada.

24(1)

You have posed the following questions with regard to the above- noted registered entity.

24(1)

Our Comments

Interpretation Bulletin IT-90 defines, in paragraph 2 thereof, a partnership as

"the relation that subsists between persons carrying on business in common with a view to profit."

              24(1)

In response to your specific questions, there is no specific provision in the Act that sets out guidelines regarding qualified investments for a charitable organization or a public foundation. Paragraph 149.1(1)(e.1) does, however, define a "non-qualified investment" for a private foundation.

24(1)

We apologize for the long delay in replying to your enquiry.

Yours truly,

for Director Reorganizations and Non-Resident Division Specialty Rulings Directorate Legislative and Intergovernmental Affairs Branch