HOLDING CANADIAN VACATION PROPERTIES IN A US ENTITY AVOIDS EXPOSURE TO CANADIAN TAXES ON DEATH

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Many Americans hold interests in vacation or recreational properties in Canada. Often such properties are intended to be passed on from generation to generation.

Canada taxes U.S. residents on capital gains from the sale or other disposition of Canadian real estate, even if such real estate is held for recreational or vacation purposes.

Canada’s ability to tax U.S. residents on gains from the disposition of Canadian real estate is recognized in Article XIII(3) of the Canada-U.S. Tax Convention (“the Treaty”)

In addition, when a U.S. resident dies owning Canadian real estate, that individual will generally be deemed to have disposed of the property immediately before his or her death at fair market value. Thus, Canada taxes accrued capital gains on death (an exception can apply if such property is acquired by a spouse, or “spousal trust”).

If such real estate is held in a US corporation, whether a C Corporation, S Corporation, or LLC (which Canada treats as a corporation) Canadian tax should not apply on the death of the shareholder or member. This is because of the fact that Articles XIII(3) and XIII(4) of the Treaty effectively preclude Canada from taxing gains from the disposition of shares in real estate holding companies that are not resident in Canada.

In many cases, this may be a preferable alternative to the use of a “grantor trust”, since Canadian tax law provides for a deemed disposition of trust property, at fair market value, every 21 years.

What type of entity is best to use? If one assumes that the property will never be sold, it probably does not matter much. However, that would be a dangerous assumption, and Canada will tax the gain when the property is sold.

Likely, one can rule-out using a C Corporation because of the fact that any resulting capital gain will be taxed as ordinary income for US tax purposes, and there will be an extra level of tax when profits are distributed.

The use of either a LLC or S Corporation would avoid those two problems. Furthermore, in this case, the fact that the S Corporation, unlike the LLC, would be viewed by Canada as being a resident of the U.S. for the purposes of the Treaty should not be significant in this scenario. Since the corporation would not be carrying on a business in Canada, the “branch tax” under Part XIV of the Income Tax Act, should not apply.

CANADA-BASED INTERNATIONAL TAX CONSULTING FOR CLIENTS WORLDWIDE

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Do you have a challenging international tax problem involving Canada? 

Michael Atlas is widely regarded as one of the leading international tax experts in Canada.

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Michael Atlas’ practice is strictly devoted to high-level tax CONSULTING. He does NOT provide accounting or tax preparation services.

 

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Contrary to what most people think, very few Canadian accountants are real tax experts. Regardless of whether they have a designation (like CA,CGA,CMA, or CPA) or not, the vast majority have only a general knowledge of tax law and practice. That is fine for preparing tax returns, or giving advice on basic routine issues. However, when it comes to complex, unusual matters, very few have what it takes to give proper advice. When it comes to international matters, even most accountants who specialize in tax don’t have the ability, and go to an expert like Michael Atlas.

 

IN LESS THAN 5 MINUTUES HE CAN USUALLY HELP!

Michael Atlas, CPA,CA,CPA (ILL), TEP

That’s right, in less than five minutes from the time that Michael Atlas gets your email message or phone call, he can typically suggest an approach to help with a high-level international tax problem!

Because of Michael Atlas’ unique creative abilities, 40+ years of wide-ranging experience, and encyclopedic knowledge of Canadian tax law, he is uniquely equipped for situations where FAST RESPONSE is demanded.

Why don’t you put him to the test-you have nothing to lose!

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.

 

YOU NEVER HAVE TO LEAVE YOUR OFFICE!

Wherever you are in the world, you can get complete advice from Michael Atlas without having to leave your home or office.

He has been providing complete advice to clients worldwide via email for over 25 years! Phone or Skype works fine too! However, if you happen to be in Toronto, and want to meet, no problem!

 

WANT TO REMAIN ANONOMOUS?-NO PROBLEM!

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.

However, even with that, some clients wish to remain anonomous. No problem! Michael Atlas can give advice to Mr. or Ms. “X”-he does not need to have a real name. He can just give advice based on hypothetical facts as presented to him.

 

ADVISING ON  A WIDE-RANGE OF ISSUES

Michael Atlas provides FAST, imaginative and creative advice in connection with the following, as well as many, many more areas:

  • Emigration from Canada-guidance on saying “goodbye” to Canadian taxes
  • Immigration to Canada-planning to minimize exposure to Canadian taxes
  • Returning Canadian expats-what to do about assets accumulated offshore
  • 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
  • Using tax treaties-they can be your best friend!
  • Planning foreign income-proper planning is the key!
  • Tax disputes and objections– he has a great track record in beating the CRA!

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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.

 

  FAST ADVICE ON DOMESTIC TAX PLANNING TOO

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

  • Estate planning
  • Real estate
  • General corporate and business tax issues
  • Corporate reorganizations

 

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You should contact Michael Atlas now for a FAST evaluation of whether and how he can help you. There is no cost or obligation.

 

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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