CANADIAN SOURCE INTEREST PAYMENTS TO NON-RESIDENTS GENERALLY TAX-FREE

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A large percentage of countries that have income taxes levy withholding taxes on interest paid by residents of those countries to non-residents.

Up until the end of 2007, Canada generally applied withholding tax under Part XIII of the Income Tax Act (“the Act”) on Canadian-source interest payments to non-residents. This general rule was subject to many exceptions, including one commonly used one that applied to five-year corporate debt, as well as exception for government obligations and foreign currency debt. In the absence of a lower rate being applied under a tax treaty, interest that was not eligible for an exemption was subject to 25% tax.

However, that all changed in 2008. As a general rule, Canadian-source interest payments to non-residents made after 2007 will only be subject to Part XIII withholding tax in two types of situations:

  • Where the payer and the payee are not dealing at arm’s length. This would most commonly apply in connection with payments by a Canadian subsidiary corporation to its foreign parent corporation, or

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  • Where the interest is “participating debt interest”. This is defined in subsection 212(3) of the Act as interest “that is paid or payable on an obligation….all or any portion of which interest is contingent or dependent on the use of or production from property in Canada or is computed by reference to revenue, profit, cash flow, commodity price or any other similar criterion or by reference to dividends paid or payable to shareholders of any class of shares of the capital stock of a corporation.”

 

In the case of U.S. residents, because of the general exemption found in Article X1(1) of the Canada-U.S. Tax Convention, even interest paid between non-arm’s length parties should be exempt from Canadian tax. This could apply to interest paid by a Canadian subsidiary to a U.S. parent corporation.

However, an exception to the general exemption in Article XI(1) applies with respect to participating debt interest. Under Article XI(6)(b), Canadian tax can be applied in such cases, subject to a maximum rate of 15%.

 

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Phone (Office): 416-860-9175

Mobile (After-hours): 416-949-7111

Email: matlas@TaxCA.com

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Phone (Office): 416-860-9175

Mobile (After-hours): 416-949-7111

Email: matlas@TaxCA.com

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All information provided is TOTALLY CONFIDENTIAL.

 

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All information provided to Michael Atlas remains strictly confidential, as is consistent with the Rules of Professional Conduct of the Institute of Chartered Professional Accountants of Ontario.

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  • Emigration from Canada-guidance on saying “goodbye” to Canadian taxes
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  • Offshore trusts-when can you use them and when you cannot
  • Offshore corporations-you can save a fortune in the right situation
  • International business structures-proper planning is the key to saving taxes
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THE ONE OF A KIND CANADIAN INTERNATIONAL TAX BLOG

Michael Atlas authors a unique Blog that is totally devoted to Canadian international tax issues. It is the only one of its kind in the world! It now has 108 original articles.

Thousands of readers access its pages every month.

You may read all the pages of the Canadian International Tax Blog through the Blog page of this site.

 

THE OUTSTANDING CANADIAN BOOK ON NON-RESIDENT TAX 

Michael Atlas is widely known across Canada for being the author of the leading book Canadian Taxation of Non-Residents, which is published by Wolters Kluwer (formerly CCH Canadian Ltd). This highly popular book, which is now in its 5th Edition, has been regularly used as a reference by accountants and lawyers in all parts of Canada for over 20 years! (To learn more about, or order, this book, click here.)

He can advise on all issues relating to non-resident taxation, including how to become a non-resident; all the implications and requirements; dealing with Canadian source income; and what to do if a Canadian expat returns.

 

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Michael Atlas can also provide FAST advice on a wide-range of high-level domestic tax issues, including

  • Estate planning
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Phone (Office): 416-860-9175

Mobile (After-hours): 416-949-7111

Email: matlas@TaxCA.com

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All information provided is TOTALLY CONFIDENTIAL.

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Michael Atlas is a Toronto-based CPA. He is one of Canada'a most prominent international tax experts.

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