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International
Tax advisory
Planning for U.S. expatriation – The ins and outs of IRC 877A
The past several years have been a wild ride for many U.S. taxpayers (and tax practitioners), in particular for those residing outside of the country. While there are a surprising number of U.S. persons still grappling with becoming compliant, in general, the progression to considering expatriation has been somewhat predictable, as follows.
Todd King
Jun 10, 2016
Tax advisory
When measuring success, it pays to keep your distance
Your business has stayed the course amidst untold degrees of uncertainty and persevered through the ups and downs. You have made significant sacrifices throughout this endeavour, bringing you to the very moment you are living today. But how well is your business really doing? Can you determine whether your business is successful or not?
Apr 27, 2016
Tax advisory
Succession and estate planning
When family farm corporations don’t live happily ever after
Previous issues of Farm Alert have discussed the benefits of incorporating a farming business, factors to consider before and after incorporating, and the importance of maintaining a pure farm corporation in order to take advantage of the lifetime capital gains exemption on a potential sale or transfer of family farm corporation shares.Â
Feb 23, 2016
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Advisory
Succession and estate planning
Farming and agriculture
Why Plan for Farm Succession?
<p class="p1">Despite farm groups working hard to advise farm owners of the need to plan for their eventual succession, many farmers appear to be reluctant to plan properly. Though there are many reasons, studies show that the number one reason is that it is “too early” to begin planning. But is it really too early, or is there just an unwillingness to plan for succession?
Peter Hobb
Jan 6, 2016
Tax advisory
Temporary Assignment of an Employee from Canada to the United States
This article is the third in a series of four examining the Canadian and U.S. income tax implications of the temporary assignment of an employee from Canada to the U.S. Specifically, these articles address the situation of an employee remaining employed by a Canadian entity, but temporarily assigned to work in the U.S. Our previous two articles (Winter 2015 <em>U.S. Tax Alert</em> and Spring 2015 <em>U.S. Tax Alert</em>) examined the importance of the determination of “residency” for personal income tax purposes, and the Canadian and U.S. personal tax liabilities based on different residency scenarios.
Mike Hayward
Oct 19, 2015
Private enterprise
Tax advisory
Sales and Transfers of Farm Land: Be Careful with the Details
When a farmer decides it is time either to sell farm land or to transfer it to a child, the <em>Income Tax Act</em> can be a powerful ally. Sheltering a sale of farm land by using the capital gains exemption or the inter-generational rollover of farm land to a child can help the taxpayer move the land on a tax-deferred or tax-free basis. It is important, however, to be aware of all the rules associated with these strategies, as small details within the <em>Income Tax Act</em> can cause undesired consequences.
Oct 15, 2015
Tax advisory
Automobile Use by Employees
Businesses often require employees to use automobiles to perform their employment duties. Most often, a business will provide an automobile to the employee or will pay the employee for use of the employee’s own vehicle. These options present different income tax consequences for the employer and the employee.
Jul 27, 2015
Tax advisory
Smooth Transition: Keeping Your Cottage in the Family
Family cottages can play an integral role in strengthening family bonds. Over time, traditions are established, festivities are enjoyed and emotional ties are formed, creating a desire to keep these properties in the family for generations. However, a variety of financial and legal concerns can make this more difficult than it sounds.Â
Jul 15, 2015
Tax advisory
Crowdfunding: The Tax Implications of a Popular Fundraising Vehicle
<p class="p1">Crowdfunding is defined by Wikipedia as “the practice of funding a project or venture by raising many small amounts of money from a large number of people, typically via the Internet.”<br /> <br /> Â
Jun 12, 2015
Tax advisory
Income Tax Considerations in Structuring Real Estate Transactions with Life Interest
A life interest in real estate provides an exclusive right to use a property during the lifetime of the holder of the interest. Often, an individual will incorporate a life interest on a transfer of a property by way of gift to a relative in order to ensure that the individual has use of the property during their lifetime, to know for certain who will own the property when they die, and to avoid probate fees upon death.
Aug 11, 2014
Indirect tax
Application of GST/HST to Condominium Fees
Provinces have legislation that allows for the creation of not-for-profit entities to collect fees from owners of certain real property to pay expenses for the upkeep and maintenance of the property. These entities are often known as condominium corporations. The issue then arises as to whether or not GST/HST applies to the fees being charged.
Aug 7, 2014
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