A Planning Challenge: The US Beneficiary Prepared for the Vancouver Estate Planning Council - October 26, 2004 Benita Loughlin – KPMG LLP Elaine E. Reynolds.

Slides:



Advertisements
Similar presentations
© 2007 KPMG LLP, a Canadian limited liability partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International,
Advertisements

FROM PRINCIPLES TO PLANNING Cross-Border Ownership of Real Estate - Canada FROM PRINCIPLES TO PLANNING.
September 17, 2007 Cross-Border Estate Planning Issues Presented by: Greg Simpson, CA, CPA, TEP Steve Peters, CA, CPA, TEP.
©2009 KPMG LLP, the U.S. member firm of KPMG International, a Swiss cooperative. All rights reserved. 1 Business Combinations: What you need to know about.
US Income Tax Issues for Expatriate Canadians Americans that have lived in Canada Relocations to the USA.
PFIC Considerations For Foreign Investors With U. S
Financial Services TAX Shari’a compliant funds and Islamic Finance An Irish perspective October 2009.
ROPES & GRAY LLP Private Equity Tax Practices
Everyone’s favourite activity: a 3-letter word ending in “x” TAX.
Bus 225D – International Transactions II Instructor: Carol Rutlen, CPA
§316 – Dividend Defined Distribution out of E & P accumulated after , or to the extent of current E & P. Portion not taxed as a dividend is Return.
UK Tax Planning post-GAAR: what’s left? Harley Richards Tax Manager 13 October 2014.
International Tax Concepts for Cross-border Employees.
FROM PRINCIPLES TO PLANNING International Tax Treaties - Canada FROM PRINCIPLES TO PLANNING.
Taxation of Intellectual Property Presentation to MBA Students on Intellectual Property Management July 16, 2001.
Chapter 5 Corporations: Earnings & Profits and Dividend Distributions Corporations: Earnings & Profits and Dividend Distributions Copyright ©2008 South-Western/Thomson.
Module 14 Transactions Between a Corporation and Its Shareholders.
A NexGen Tax Primer: Life Insurance & Tax Efficient Wealth Planning With Dale Durand, VP, Estate & Tax Planning.
Marshalls & Dent Lawyers Tax issues in Family Law The Difference between Hacking & Carving by Peter Szabo Marshalls & Dent Melbourne
Cross-Border travel and transfers: immigration and tax complications Joel Guberman and Peter Megoudis EXPAND IN THE USA June 17, 2015.
Chapter Objectives Be able to: n Explain sources of Canadian tax law. n Identify the two primary entities that are subject to tax. n Explain how residency.
 Debt Partner ◦ A partner who provides a loan to the other partners within a joint venture. Depending on the terms of the loan, the debt partner would.
McGraw-Hill/Irwin Copyright (c) 2003 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 15 Income Taxation of Trusts.
Real Estate Investment Chapter 9 Business Organizations © 2011 Cengage Learning.
American Citizens Abroad Town Hall Seminar Daniel Hyde 23 September 2013.
Entity Types and Why it is Such an Important Decision Entity Types and Why it is Such an Important Decision Brian Miller Miller Grossbard Advisors, LLP.
9-1 Non-Corporate Forms of Business  Sole Proprietorship  Partnership  LLC  S corporation.
Irwin/McGraw-Hill ©The McGraw-Hill Companies, Inc., 2000 Principles of Taxation Chapter 9 Sole Proprietorships, Partnerships, and S Corporations.
TAX Taxation of property transactions in Slovakia Mark Gibbins, Partner 10 November 2005.
Washington, DC ◊ New York, NY New Haven, CT Chicago, IL
McGraw-Hill/Irwin Copyright (c) 2002 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 6 Chapter 6 Income and Allocation.
Chapter 18 Rollovers Under Section 85. © 2006, C. Byrd Inc.2 Rollovers Defined.
Protecting your estate Allow your legacy to live on.
Chapter 18 Rollovers Under Section 85. © 2007, Clarence Byrd Inc.2 Rollovers Defined.
International Issues In Taxation  Residence  Taxation of non-residents on Canadian source income  Double taxation issues  Emigration and immigration.
Tax Implications for Canadians Working Abroad. Canadians Working Abroad, Overseas, Outside Canada – Permanently The first thing that you need to do as.
McGraw-Hill© 2005 The McGraw-Hill Companies, Inc. All rights reserved.
 Click to edit Master text styles  Second level  Third level  Fourth level  Fifth level  Click to edit Master text styles  Second level  Third.
Synthetic Equity Arrangements 2015 Federal Budget Christopher Steeves 5 th Annual CASLA Conference on Securities Lending June 3, 2015.
Chapter 6 Income from Property 1. Inclusions Sec. 12 Interest income from savings, deposits, loans, bonds, and debentures; Dividends from shares; and.
International Tax Structuring –Inbound to US James Wall J. H. Cohn LLP.
Federal Income Tax Issues Chapter 19 Tools & Techniques of Estate Planning Copyright 2011, The National Underwriter Company1 General Scheme of Taxation:
Factors Associated with IT Audits by the Internal Audit Function Discussant Comments October 2, 2009 INFORMATION RISK MANAGEMENT ADVISORY.
THE FUNDAMENTALS OF INTERNATIONAL PRACTICE: TAX ISSUES ARISING IN DRAFTING INTERNATIONAL CONTRACTS Prepared by: Jeffrey M. Trinklein
Non U.S. Persons in the Estate Plan Chapter 20 Tools & Techniques of Estate Planning Copyright 2011, The National Underwriter Company1 What is it? Note:
Trusts And Estate Planning What is a Trust? © 2008 Clarence Byrd Inc.2 SettlorTrusteeBeneficiaries PropertyBenefits Legal Ownership.
Chapter 20 Ownership Structures for Financing and Holding Real Estate.
International Issues In Taxation  Residence  Taxation of non-residents on Canadian source income  Double taxation issues  Emigration and immigration.
BY : Werner-Rocca Seminars, Ltd 1 © 2014 Financial Education Resources. All rights reserved. Preparation of Form 1041: Primer on Subchapter J.
McGraw-Hill© 2005 The McGraw-Hill Companies, Inc. All rights reserved.
Federal Income Taxation Lecture 15Slide 1 Corporate Dividend Tax  Corporate dividends are distributions of profit made by a “subchapter C” corporation.
McGraw-Hill/Irwin Copyright (c) 2002 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 3 Chapter 3 Employee Compensation.
McGraw-Hill/Irwin Copyright © 2012 by The McGraw-Hill Companies, Inc. All rights reserved. Chapter 18 Corporate Taxation: Nonliquidating Distributions.
McGraw-Hill© 2005 The McGraw-Hill Companies, Inc. All rights reserved.
McGraw-Hill/Irwin Copyright (c) 2002 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 11 Chapter 11 Dispositions of.
Chapter 11 Investments © 2014 by McGraw-Hill Education. This is proprietary material solely for authorized instructor use. Not authorized for sale or distribution.
McGraw-Hill/Irwin Copyright (c) 2003 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 3 Employee Compensation Strategies.
Corporate & Individual Taxation in Canada from the Perspective of Canada-Turkey Tax Treaty Tony Schweitzer November
McGraw-Hill/Irwin Copyright (c) 2003 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 11 Dispositions of Equity Interests.
Estate Planning Presented by Richard Rizzo, CPA CA Tax Partner June 6, 2016.
 Tax Tips for Real Estate Investors With Allan Madan.
Principles of Taxation: Advanced Strategies
Chapter Objectives Be able to: Identify when a partnership exists.
Principles of Taxation: Advanced Strategies
Principles of Taxation
Principles of Taxation: Advanced Strategies
Tax Lesson 2 YOURLOGO Start Lecture
When “Income” isn’t Income. Or is it?
From Class Econ Notes Mr. Park.
Rethinking classroom design
Presentation transcript:

A Planning Challenge: The US Beneficiary Prepared for the Vancouver Estate Planning Council - October 26, 2004 Benita Loughlin – KPMG LLP Elaine E. Reynolds – Legacy Tax & Trust Lawyers

1 Assumptions Canadian Resident Personal Trust – Inter-vivos or Testamentary Canadian Settlor US Resident Beneficiary

2 Canadian Distribution Rules Income versus Capital Income – tax law vs. trust law Capital for trust law – capital gains, redemption proceeds, stock dividends Distributions of income taxable in Canada Distributions of capital not taxable in Canada

3 Withholding under the Income Tax Act Part XIII withholding at 25% on income distributions from estate or trust to non-resident No withholding on capital distributions from estate or trust Capital dividends paid to non-residents are subject to withholding tax Only the taxable portion of capital gains allocated to beneficiaries is subject to withholding tax

4 Withholding under Canada-US Tax Treaty Canada-US Treaty deals with trust withholding in Article XXII – Other Income Canadian source income distributed to US resident beneficiary subject to 15% withholding

5 Withholding under Canada-US Tax Treaty Foreign source income distributed to US resident beneficiary exempt from withholding e.g. dividends from non-Canadian corporation Effective rate on capital gains 7.5% Watch Part XII.2 tax

6 Part XII.2 Tax Applies where one or more non-resident beneficiaries of a Canadian trust receive a distribution of designated income Designated income includes  taxable capital gains on disposition of TCP  Canadian real property income  income from business carried on in Canada Flat rate of 36%

7 Part XII.2 Tax No treaty override All beneficiaries subject to Part XII.2 tax if trust has non-resident beneficiary and designated income Not applicable to testamentary trusts, non-resident trusts Trustee is personally liable for Part XII.2 tax

8 In-Kind Distributions to Non-Resident Beneficiaries In-kind distributions treated as a deemed disposition at fair market value Trust may elect to defer payment of tax on gain realized as a result of making a distribution of TCP to a non-resident beneficiary Trust must post security Watch out for distributions to avoid 21 year rule

9 US Tax Issues for the Beneficiary All distributions are taxable Trustee designations as income or capital are irrelevant Distributions of accumulated income can result in penalties

10 US Tax Issues for the Beneficiary Reporting-Form 3520 – due April 15 th Penalty for non-compliance - 35% of distribution Distributions through intermediaries are still taxed State tax issues

11 Departure of Canadian Beneficiary to the US Beneficial interest in Canadian resident trust typically exempt from departure tax Watch out for anti-avoidance rule that applies to rollover trust where created in contemplation of departure

12 Stock Attribution US beneficiary of Canadian trust owning shares in Canco How does stock ownership attribute? Canco earns passive income Look through rules apply Discretionary Trust – facts and circumstances determines percent ownership

13 Stock Attribution Beneficiary required to pick up pro-rata share of passive income in US even if not paid out Potential double tax Beware of US impact of corporate reorganizations

14 US Estate Tax Terms of trust will dictate inclusion in US taxable Estate Watch out for general powers of appointment

15 US Estate Tax On a positive note Distributions from Estates are subject to less complex US taxation and reporting Can avoid deemed disposition on in-kind distribution to US beneficiary by distributing to Canadian entity (e.g. NSULC) Partnerships and NSULCs are useful to avoid the impact of US foreign corporation rules Proper planning can avoid US estate tax liability for US beneficiary Planning before a beneficiary departs is helpful

Questions?

17 The information contained herein A Planning Challenge: The US Beneficiary is of a general nature and is not intended to address the circumstances of any particular individual or entity. Although we endeavor to provide accurate and timely information, there can be no guarantee that such information is accurate as of the date it is received or that it will continue to be accurate in the future. No one should act on such information without appropriate professional advice after a thorough examination of the particular situation. Benita Loughlin KPMG LLP Elaine E. Reynolds Legacy Tax & Trust Lawyers