Title: Canadian
1Canadian U.S. Ministry Relationships
- Robert B. Hayhoe
- MILLER THOMSON LLP, Toronto
- rhayhoe_at_millerthomson.ca
- 416.595.8174
- Stuart J. Lark
- HOLME ROBERTS OWEN LLP, Colorado Springs
- larks_at_hro.com
- 719.473.3800
- IFMA Mission Administration Seminar
- Orlando, Florida
- May 30, 2003
2International Ministry Scenarios
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3International Ministry Scenarios
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4International Ministry Scenarios
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5Canadian Background
- Any foreign charity can fundraise in Canada
- Only donations to qualified donees result in a
Canadian individual tax credit/corporate tax
deduction - exceptions in Canada US tax treaty
- US college attended by a family member
- donations to US charities tax-recognized against
Canadian taxes on US-source income
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6Qualified Donees
- Canadian Registered Charities
- UN
- agencies
- Crown (Canadian federal or provincial government)
- agencies
- Foreign charities with Canadian government
patronage - Prescribed foreign universities customarily
attended by Canadians
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7Registered Charity
- Income Tax Act registered charity must be both
- resident in Canada and
- created or established in Canada
- Therefore non-Canadian charities (including
mission agencies) cannot become registered
charities
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8Establishment of Registered Charity
- Create Canadian legal entity
- majority Canadian board
- Apply for registration with Canada Customs and
Revenue Agency - T2050 form
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9Grants by Registered Charities
- Registered charities
- must devote their resources to their own
charitable activities, or - make grants to qualified donees
- Canadian Registered charities may not make grants
(gifts) to foreign charities - explicit grounds for revocation of registration
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10Consequences of Revocation of Charitable
Registration
- No intermediate sanctions in Canada
- Loss of tax exempt status
- Loss of tax recognition for donors
- Imposition of penalty tax equal to 100 of
charitys assets - capital punishment
- Two recent high profile revocations
- Canadian Magen David Adom for Israel
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11Foreign Activities by Registered Charities
- Canadian registered charities can operate
anywhere in the world - consistent with charitable purposes
- mission activities are just as charitable in
Nairobi as in Toronto - Direct foreign activities
- local or Canadian employees
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12CCRA Approach
- Formerly very flexible
- Now increasingly complex and stringent
- RC 4106 Registered Charities Operating Outside
Canada - T3010 annual return questions
- T2050 application for registration questions
- significant audit attention
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13Indirect Foreign Activities by Registered
Charities
- Always subject to own activities test
- RC 4106 Registered Charities Operating Outside
of Canada - need binding written agreements
- agency/joint ministry arrangements
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14Joint Ministry Agreement
- Core elements
- pooling of resources for common project
- requires decision-making structure
- Canadian votes proportional to monetary
contribution - joint liability
- stringent recordkeeping requirements
- term and termination
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15U.S. Perspective on Joint Ministry Agreements
- Joint Venture terminology may be misleading
- suggests a separate entity under US Law
- may create additional tax and liability issues
- Agreements must be drafted carefully
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16Agency Agreement
- Principal (Canadian charity) hires agent (foreign
charity) to complete some task - Project choice is made by principal
- Operational decisions can be made by agent
- Liability flows from agent to principal
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17Fee for Service
- Canadian charity may hire foreign charity for
specific services - missionary training
- evacuation facilities
- supervision of short terms teams
- Need invoices
- Need written contract unless nominal amount
(under 5,000 per year)
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18Recordkeeping
- Registered charities must keep records in Canada
to show charitable nature of all activities - Foreign indirect activities
- agency or joint venture agreement
- operational reports
- financial reports (with backup)
- segregated bank accounts
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19U.S. Legal Requirements
- Private contributions to foreign organizations
are generally not deductible - U.S. organizations may not serve as a mere
conduit for grants to foreign organizations
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20U.S. Legal Requirements
- U.S. tax-exempt organizations may grant funds to
foreign organizations provided the U.S.
organization - exercises control and discretion as to the use of
the funds - maintains records regarding the exempt uses of
the funds and - makes grants only for specific projects that
further its exempt purposes
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21U.S. Legal Requirements
- Indicators of sufficient discretion and control
include - Board approval of grant after thorough review of
proposed activities and recipient organization - Periodic reports and/or auditing regarding use of
funds - Funds for approved projects are released on an
as-needed basis
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22U.S. Legal Requirements
- Indicators of sufficient discretion and control
include (contd) - Donor designated contributions are subject to
same controls and processes as general funds - Recipient organization enters into a written
agreement regarding its use of the funds
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23U.S. Legal Requirements
- Private Foundations are subject to additional
expenditure responsibility rules - Adequate procedures to ensure grant is spent
solely for the purpose for which made - The organization must obtain full and complete
reports from the recipient on the use of the funds
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24U.S. Legal Requirements
- Private Foundations are subject to additional
expenditure responsibility rules (contd) - The organization must make full and detailed
reports to the IRS regarding the grants
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25Choice of Arrangement
- Multi-Lateral Integrated Ministry
- joint ministry arrangement
- may be limited to Canadian participation
- Multi-Lateral Partitioned Ministry
- joint ministry arrangement possible
- agency arrangement preferred
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26Choice of Arrangement
- Canadian Funding of U.S. Based Ministry
- joint ministry arrangement possible
- agency arrangement preferred
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27Anti -Terror Law in Canada
- Post 9/11/01 Bill C-36
- Refuse or revoke charitable registration for
- making any resources available to a terrorist
organization (directly or indirectly) - secret appeal process
- CCRA initially targeting specific Islamic
terrorist fundraising charities, not aid or
mission agencies
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28US Anti-Terror and Fraud Law
- Bank Secrecy Act
- Announcement 2003-29 Additional standards,
controls and reporting related to diversion for
non-exempt uses - Anti-Terrorist Financing Guidelines Voluntary
Best Practices for U.S.-Based Charities - Sarbanes-Oxley
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29Key General Legal Issues
- Allocation of liability risk should be carefully
considered - Activities conducted as an independent contractor
- Activities conducted as an agent
- Activities conducted jointly
- Insurance coverage
- Indemnification
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30General Legal Issues
- Immigration Law
- visa requirements for ministry staff transfers
- NAFTA
- Intellectual property law
- Possible to deal with trademark licensing issues
to confirm ownership of names - Website integration issues
- Real and personal property
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31Recommended Approach
- Ministry structure should be driven by
institutional values (not Canadian tax law) - Limit overhead and extraneous processes
- An ignored arrangement is an admission of
wrongdoing - Canadian legal compliance is a spiritual
obligation of Canadian ministries
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32Canadian U.S. Ministry Relationships
- Robert B. Hayhoe
- MILLER THOMSON LLP, Toronto
- rhayhoe_at_millerthomson.ca
- 416.595.8174
- Stuart J. Lark
- HOLME ROBERTS OWEN LLP, Colorado Springs
- larks_at_hro.com
- 719.473.3800
- IFMA Mission Administration Seminar
- Orlando, Florida
- May 30, 2003