Canada: Department of Finance reconsidering the proposed FAPI pick-up rule
International Tax Review is part of the Delinian Group, Delinian Limited, 4 Bouverie Street, London, EC4Y 8AX, Registered in England & Wales, Company number 00954730
Copyright © Delinian Limited and its affiliated companies 2024

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Canada: Department of Finance reconsidering the proposed FAPI pick-up rule

van-loan.jpg

jun.jpg

Chris Van Loan


Andrew Jun

On December 16 2014, a package of tax measures – which included a number of foreign affiliate proposals that were first introduced in the summer of 2013 – was enacted into law. Missing from that package, however, were the proposed additions to the Canadian Income Tax Act (ITA) of subsections 91(1.1) and (1.2), which had been included in the 2013 proposals. It appears that this was a deliberate omission to allow the Department of Finance (DoF) to review these proposed rules in light of a number of concerns related to their operation. The ITA requires a Canadian taxpayer to include in its income a portion of foreign accrual property income (FAPI) earned by a controlled foreign affiliate (CFA) of such taxpayer for each taxation year of the CFA that ends in the taxation year of the Canadian taxpayer even if such FAPI is not distributed to such taxpayer. A CFA is generally a foreign affiliate of a Canadian taxpayer where the Canadian taxpayer, either alone or together with certain other persons (including up to four other Canadian residents), owns sufficient shares of the foreign affiliate to provide such persons with voting control of such foreign affiliate. Since the FAPI of a CFA is allocated to the relevant Canadian taxpayer at the end of the CFA's taxation year, a Canadian taxpayer could reduce the amount of a FAPI inclusion or avoid it altogether if the taxpayer simply decreased its ownership interest in the CFA before its year-end.

Proposed subsection 91(1.1) was intended to address this issue by forcing a FAPI inclusion every time a Canadian taxpayer's ownership interest in the CFA decreased, subject to an exception set out in proposed subsection 91(1.2). Proposed subsection 91(1.1) sought to achieve this objective by deeming the CFA to have had a taxation year-end in respect of the Canadian taxpayer immediately before there was a decrease in the Canadian taxpayer's 'surplus entitlement percentage' in such CFA. The surplus entitlement percentage generally measures a Canadian taxpayer's entitlement to receive distributions from the relevant FA relative to the entitlement of other persons and depends, generally, on share ownership. This deemed taxation year-end would result in the Canadian taxpayer having to include the stub period FAPI in its income and could happen multiple times during a CFA's fiscal year.

As proposed, however, there were a number of concerns relating to subsections 91(1.1) and (1.2). One such concern arises where the surplus entitlement percentage of the Canadian taxpayer changes frequently as, in those circumstances, proposed subsection 91(1.1) could present an undue administrative burden. An example of where this could occur would be where the CFA periodically issued shares in itself to local employees or managers. If shares in the CFA were issued to local employees or managers on a monthly basis, the Canadian taxpayer would experience a decrease in its surplus entitlement percentage in the CFA each month, which would cause the CFA to have a deemed taxation year-end in respect of that Canadian taxpayer at the end of each month. This would be an onerous result particularly where the CFA did not earn a significant amount of FAPI.

There has also been a concern raised with the effectiveness of proposed subsection 91(1.2) which is intended to prevent the application of proposed subsection 91(1.1) where another taxpayer resident in Canada that is 'connected' (as determined for the purpose of that subsection) to the Canadian taxpayer acquires the surplus entitlement percentage that was lost by the Canadian taxpayer. This exception was intended to allow intra-group transfers of shares in the CFA that do not result in an overall decrease in the surplus entitlement percentage of the group to take place without causing a FAPI inclusion. There would appear to be some technical shortcomings with the way this exception is intended to operate together with certain existing provisions of the ITA.

It is our understanding that DoF wishes to address these and possibly other concerns with proposed subsections 91(1.1) and (1.2) in a revised version of the proposals which are being worked on by DoF.

Chris Van Loan (chris.vanloan@blakes.com) and Andrew Jun (andrew.jun@blakes.com), Toronto

Blake, Cassels & Graydon

Tel: +1 416 863 2687 and +1 416 863 4180

Website: www.blakes.com

more across site & bottom lb ros

More from across our site

Paul Griggs, the firm’s inbound US senior partner, will reverse a move by the incumbent leader; in other news, RSM has announced its new CEO
EMEA research now open
Luis Coronado suggests companies should embrace technology to assist with TP data reporting, as the ‘big four’ firm unveils a TP survey of over 1,000 professionals
The proposed matrix will help revenue officers track intra-company transactions from multinationals
The full list of finalists has been revealed and the winners will be presented on June 20 at the Metropolitan Club in New York
The ‘big four’ firm has threatened to legally pursue those behind the letter, which has been circulating on social media
The guidelines have been established in the wake of multiple tax scandals and controversies that have rocked the accounting profession
KPMG Netherlands’ former head of assurance also received a permanent bar and $150,000 fine; in other news, asset management firm BlackRock lost a $13.5bn UK tax appeal
The new, fully integrated office will also offer M&A, dispute resolution, IP and corporate tax services
The new guidance concerns a recent 1% excise tax on the repurchases of corporate stock for both US and certain foreign companies
Gift this article