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POST MORTEM PLANNING a primer and case study

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Jill dies deemed disposition of Cashco shares. Jack predeceased ... Technically spouse trust deemed to dispose of Holdco shares and realizes capital gain ... – PowerPoint PPT presentation

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Title: POST MORTEM PLANNING a primer and case study


1
POST MORTEM PLANNING- a primer and case study -
  • Joan E. Jung
  • Minden Gross Grafstein Greenstein LLP,
  • a member of MERITAS Law Firms Worldwide
  • jjung_at_mindengross.com

2
Introduction- a primer -
  • Why is post mortem planning needed?
  • Deemed disposition on death
  • Double taxation
  • integration inverted

3
Simple Example
Jill
  • Jill dies deemed disposition of Cashco shares
  • Jack predeceased
  • How do Jill Jr. and Jack Jr. extract the cash?

100 common
Cashco
4
Simple Example
Peter
  • Peter dies w/o spouse
  • Deemed disposition on death
  • Children (Bo Peep and Mary) wish to sell Opco
    shares

Wolf Holdings
Low ACB shares
Opco
5
Estate Freeze?
  • Reduces but does not eliminate double taxation

6
Post Mortem Planning Tools
  • Subsection 164(6)
  • triggers capital loss
  • 88(1)(d) Bump
  • bump the cost of underlying assets
  • Pipeline
  • Extraction technique

7
The Pipeline
Estate of Jill
  • Distribution
  • Easy example is cash

Pay promissory note
Sale for promissory note
Holdco
High ACB
Cashco
Dividend
8
The Pipeline in Isolation
  • Terminal period capital gain remains
  • Extraction of corporate level assets with high
    ACB
  • pre-existing ACB
  • triggered ?

9
Subsection 164(6)
  • Effect
  • replaces the terminal capital gain with a deemed
    dividend
  • Capital gains rate vs dividend rate?
  • November 23, 2005 Finance Release?

10
Subsection 164(6) in Isolation
Estate of Peter
  • Within first year of estate
  • Trigger deemed dividend re shares of Wolf
    Holdings
  • redeem shares
  • wind up corporation

FMVACB 1M
PUC Nil
Wolf Holdings Inc.
Opco
11
Subsection 164(6) in Isolation
Estate of Peter
  • Deemed dividend
  • 1M Nil 1M
  • Capital loss
  • Proceeds reduced by deemed dividend
  • POD 1M - 1M Nil
  • CL 1M
  • Terminal period gain

FMVACB 1M
Wind up
PUC Nil
Wolf Holdings Inc.
Opco
12
Subsection 164(6) in Isolation
  • Deemed dividend vs terminal capital gain
  • Overall tax efficiency where combined with
    corporate surplus accounts
  • RDTOH
  • CDA

13
Subsection 164(6) in Isolation
  • Use of CDA in conjunction with s.164(6)
  • Stop-loss rule s.112(3.2)
  • may grind capital loss
  • effectively need taxable dividend equal to
    capital dividend

14
Subsection 164(6) considerations
  • Redemption or wind up?
  • s.40(3.6) stop-loss rule
  • use wind up instead
  • New s.40(3.61)
  • result s.40(3.6) not applicable to the extent
    of a s.164(6) election
  • Can still be an issue in certain situations

15
Paragraph 88(1)(d) Bump
  • Mechanism to increase the ACB of corporate owned
    assets
  • Non-depreciable capital property only
  • E.g., land shares of corporation
  • Future sale planning
  • Rules are rather complex

16
Use of Paragraph 88(1)(d) bump
Estate of Peter
  • Subsequent sale of Opco shares?
  • High ACB of Holdco shares from deemed disposition
  • Bump ACB of Opco shares?

High ACB
Wolf Holdings Inc.
Low ACB
Opco
17
The Bump
Estate of Peter
  • s.85(1) roll of shares to Parentco
  • Wind up Wolf Holdings into Parentco
  • Bump ACB of Opco shares

s.85(1) high ACB
Parentco
High ACB
Wind up
Wolf Holdings Inc.
Low ACB
Opco
18
Bump Limitations - glossed over
  • 1 Capital property of the subsidiary at the time
    the parent last acquired control
  • 2 Property thereafter owned by subsidiary w/o
    interruption until distributed to parent on the
    winding up
  • 3 Only certain property
  • ineligible property leads to bump denial

19
Bump Limitations glossed over
  • 4 Aggregate bump amount limited
  • roughly, excess of external basis over internal
    basis
  • 5 Bump to a particular property limited to FMV
    at time parent last acquired control of subsidiary

20
Bump Limitation 1
  • When did the parent last acquire control of the
    subsidiary?
  • s. 88(1)(d.2) rules applicable where non-arms
    length share transfers
  • s.88(1)(d.3) can override
  • deems the date on which control was last acquired
    to be immediately following death

21
Bump Denial Rule
  • Series of transactions or events including the
    winding up
  • Parent acquired control of subsidiary
  • Property of subsidiary or substituted property
    acquired by certain restricted persons or group
  • Generally not related persons

22
Bump Denial Rule
  • Worrisome because of broad wording
  • Consequence
  • bump denied on all property distributed to
    parent, not just the property acquired by the
    restricted person

23
Case Study the facts
  • Jack predeceased Jill in 1989
  • Jacks Will provided for a testamentary spouse
    trust
  • Jack had implemented an estate freeze through a
    holding company
  • Operating business wound down years ago

24
Case Study the facts
  • Corporate owned assets now limited to investments
  • Income trust units
  • Interest bearing instruments
  • Land previously used in the operating business
    and now rental

25
Case Study the facts
  • Common shares (post freeze) initially held by
    family trust
  • Prior to 21st anniversary, distributed equally to
    adult children, Jill Jr. and Jack Jr.
  • Voting control by spouse trust

26
Case Study - Jill Dies
Estate Spouse Trust
Jill Jr.
Jack Jr.
  • Limited RDTOH in Holdco
  • Low ACB of investments in Holdco except bonds
    (300K)

100 common shares
2M voting freeze preferred shares Nominal
ACB Nominal PUC
Holdco
Investments
common shares Nominal ACB Nominal PUC
Landco
27
Case Study - Do Nothing?
  • Capital gain to Estate (2M)
  • Distribution cost of extracting assets
  • No recognition of tax paid at shareholder level
    upon corporate sale of assets
  • DOUBLE TAXATION !!

28
Case Study Pipeline?
  • High ACB assets lt freeze value
  • 300,000 2M
  • Use of pipeline technique will permit extraction
    of 300,000 w/o additional shareholder level
    taxation
  • Pipeline in isolation is not enough

29
Case Study Bump?
  • Bump the cost of investments owned by Holdco and
    land owned by Landco?
  • If yes
  • Will reduce future capital gains on corporate
    level asset sales
  • Results in high ACB assets for pipeline use
  • Cost - 2M capital gain remains

30
Case Study Bump?
  • Bump Limitation 1 - problematic
  • capital property of the subsidiary at the time
    that the parent last acquired control of the
    subsidiary
  • Capital property?
  • land investments - should be OK

31
Case Study Bump?
  • at the time the parent last acquired control of
    the subsidiary
  • Why relevant?
  • can only bump capital property owned by
    subsidiary at that time
  • FMV limitation in bump allocation

32
Case Study Bump?
  • at the time the parent last acquired control of
    the subsidiary
  • Classic post mortem bump
  • Estate transfers shares of subsidiary to Newco
    (parent)
  • desired acquisition of control time is
    immediately after death to facilitate maximum bump

33
Case Study Bump?
  • Interaction of s.88(1)(d.2) and (d.3)
  • (d.2) operates to deem the time an acquirer
    last acquired control of subsidiary where NAL
    transactions
  • typically deemed back to the time vendor
    acquired control
  • deemed back to the time deceased acquired
    control?

34
Case Study Bump?
  • 88(1)(d.3) a saving provision for post mortem
  • If applicable, the time the parent last acquired
    control of the subsidiary effectively deemed to
    be immediately after death

35
Case Study Bump?
  • 88(1)(d.3) requires
  • control of a corporation is last acquired by an
    acquirer because of an acquisition of shares of
    the corporation as a consequence of the death of
    an individual
  • Spouse trust
  • Does above apply upon death of surviving spouse?

36
Case Study Bump?
  • Was Jill the sole trustee of the spouse trust?
    External trustee?
  • CRA Document no. 2004-0087761E5
  • change of trustees acquisition of control
  • Acquisition of control upon Jills death?

37
Case Study Bump?
  • Assume Jill was sole trustee and replaced by
    children
  • Interpretation issues in corporate chain
    structure re s.88(1)(d.2) and (d.3)

38
Case Study Bump?
  • Limited bump utility if Jacks death is the time
    a person last acquired control of Holdco
  • Were income trust units owned by Holdco at that
    time?
  • if no - then no bump
  • Can only allocate bump to FMV at that time
  • FMV of land at Jacks death

39
Case Study - Bump?
Estate Spouse Trust
Jill Jr.
Jack Jr.
  • Land owned by Landco, not Holdco (the
    subsidiary)
  • To bump ACB of land, amalgamate first and rely on
    s.88(4)

100 common shares
2M voting freeze preferred shares Nominal
ACB Nominal PUC
Holdco
Investments
common shares Nominal ACB Nominal PUC
Landco
40
Case Study Bump?
Estate Spouse Trust
Estate Spouse Trust
(1) Transfer Holdco shares to Newco
Newco
(3) Wind up amalgamated Holdco/Landco into
Newco Elect to bump ACB of land
Newco
Holdco
  • At best, limited bump to land

(2) Amalgamate Holdco and Landco
Landco
41
Case Study so far .
Estate Spouse Trust
Jill Jr.
Jack Jr.
  • 2M capital gain to Estate
  • Elimination of double tax
  • limited pipeline
  • limited bump to land only

100 common shares
2M voting freeze preferred shares Nominal
ACB Nominal PUC
Holdco
Investments
common shares Nominal ACB Nominal PUC
Landco
42
Case Study s.164(6)?
  • within first taxation year of the estate
  • not applicable to spouse trust
  • Analogous procedure available
  • trigger deemed dividend capital loss
  • apply capital loss against capital gain

43
Case Study Capital loss planning
  • Technically spouse trust deemed to dispose of
    Holdco shares and realizes capital gain
  • Capital loss planning requires spouse trust to
    continue after Jills death
  • Jacks Will provides for lag prior to
    distribution?

44
Case Study Capital loss planning
  • Consider stop-loss rule s.40(3.6)
  • new s.40(3.61) N/A applies only to extent of
    s.164(6) election
  • s.40(3.6) stop loss if spouse trust affiliated
    with Holdco immediately after the disposition
    (redemption)

45
Case Study Capital loss planning
  • Extension of affiliated persons to trusts
  • Holdco affiliated with spouse trust if affiliated
    with majority interest beneficiary
  • assume Jack Jr. and Jill Jr. equally entitled
  • no majority interest beneficiary
  • Share redemption to trigger capital loss possible

46
Case Study Capital Loss planning
  • Procedure inherently trades deemed dividend for
    capital gain
  • Tax efficient to the extent of available RDTOH
    and CDA
  • Consider taxable transfer of investments by
    Holdco to new subsidiary

47
Case Study Capital Loss planning
  • Will create RDTOH and CDA at the cost of a
    corporate capital gain
  • If transfer building, can refresh UCC at the cost
    of recapture and capital gain
  • s.13(7)(e) applicable to NAL transfer
  • Step up of capital cost limited to ½ of the gain

48
Case Study Capital Loss planning
  • RDTOH and CDA can be streamed up for utilization
    on the redemption of Holdco shares by spouse
    trust
  • Be mindful of s.112(3.2)

49
Case Study Capital Loss planning
  • November 23, 2005 Finance Release
  • eligible dividends
  • more tax beneficial than capital gains (fully
    phased in and assuming provincial adoption)
  • Redeem Holdco shares over next 3 years (carryback
    period) to stream eligible dividends?

50
Case Study - Summary
Estate Spouse Trust
Jill Jr.
Jack Jr.
  • s.88(1)(d) bump too complex for limited bump
  • Transfer assets to subsidiary to achieve
    increased cost plus RDTOH/CDA

100 common shares
2M voting freeze preferred shares Nominal
ACB Nominal PUC
Holdco
Investments
common shares Nominal ACB Nominal PUC
Landco
51
Case Study - Summary
Estate Spouse Trust
Jill Jr.
Jack Jr.
  • Redeem Holdco preferred shares to trigger capital
    loss
  • Wait for favorable rates for eligible dividends?

100 common shares
2M voting freeze preferred shares Nominal
ACB Nominal PUC
Holdco
Investments
common shares Nominal ACB Nominal PUC
Landco
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