I’ve seen a number of transactions lately where the owner of a life insurance policy proposes to transfer it to a corporation controlled by the owner. The benefits of corporate-owned insurance are well-known, of course, but such a transfer could also permit the owner to withdraw significant amounts of money from the corporation tax free.
Crooks
In Langille v. The Queen, 2009 TCC 139, the taxpayer attempted to claim an ABIL for amounts advanced to a corporation he controlled. The corporation in turn had suffered losses because it had participated in a joint venture that turned out to be a fraud.
Trusts and capital dividends
Is a trust required to file a tax return where the trust’s only ‘income’ is a capital dividend?
Capital dividends and 160
Capital Dividends Again
The following article appeared in the latest edition of the Hamilton Law Association Law Journal.
The Exemption
Crazy
In an article I wrote about three years ago, I pointed out that the purveyors of tax snake oil seemed to be having some success convincing their “clients” that they need not pay income tax.
What in the world?
What world does the CRA live in that it could think it would be a good idea to take a 78-year-old woman to Court under section 160 for cashing cheques for her disabled son? See Gambino v. The Queen, 2008 TCC 601.