© 2012 Torys LLP. All rights reserved. Potpourri of Partnership Issues Tax Executives Institute Luncheon Craig Maurice October 10, 2012.

Slides:



Advertisements
Similar presentations
Special Issues for Projects Involving Nonprofits IPED Housing Tax Credits 101 March 5-6, 2009 Molly R. Bryson Thomas A. Giblin.
Advertisements

Special Issues for Projects Involving Nonprofits IPED Housing Tax Credits 101 October 18-19, 2007 Molly R. Bryson Thomas A. Giblin.
Agenda BA128A-1 4/12 Return exams Go over exam Projects Review - Chapter C2 Assignment - C2-30,33,40 Additional - C2- 38,39.
Page 1 Business income and associated enterprise Prashant Khatore.
Copyright © Meadows, Collier, Reed, Cousins, Crouch & Ungerman, L.L.P. All rights reserved. Profit and Loss Allocations, Distributions, and Other Key Tax.
10-1 ©2008 Prentice Hall, Inc ©2008 Prentice Hall, Inc. SPECIAL PARTNERSHIP ISSUES  Nonliquidating distributions  §751 assets  Terminating a.
A537 - Corporate & Partnership Tax Instructor: Dwight Drake Calculating the Entity’s Taxable Income Section 63: Taxable income equals gross income minus.
Chapter 20 Partnerships © 2008 Clarence Byrd Inc. 2 Taxable Entities In Canada  Income Tax Act › Individuals › Corporations › Trusts  Partnership income.
Chapter Seven Consolidated Financial Statements – Ownership Patterns and Income Taxes Consolidated Financial Statements – Ownership Patterns and Income.
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.
Real Estate Investment Chapter 9 Business Organizations © 2011 Cengage Learning.
Chapter 10 Partnership Taxation
Chapter 3 Property Dispositions Copyright © 2013 by The McGraw-Hill Companies, Inc. All rights reserved. McGraw-Hill/Irwin.
Chapter 10 Limitations on the Deductibility of Partnership Losses.
Chapter Objectives Be able to: n Explain the difference between capital income and business income. n Apply the general rules in determining capital gains.
McGraw-Hill/Irwin Copyright © 2012 by The McGraw-Hill Companies, Inc. All rights reserved. Chapter 12 Special Property Transactions “A fool and his money.
McGraw-Hill Education Copyright © 2015 by the McGraw-Hill Education. This is proprietary material solely for authorized instructor use. Not authorized.
Chapter 9 Forming and Operating Partnerships Copyright © 2013 by The McGraw-Hill Companies, Inc. All rights reserved. McGraw-Hill/Irwin.
©The McGraw-Hill Companies, Inc. 2008McGraw-Hill/Irwin Chapter 14 Partnership Taxation “People who complain about taxes can be divided into two classes:
10-1 ©2011 Pearson Education, Inc. Publishing as Prentice Hall.
1 Attribution of Profits to Permanent Establishments -Recent Developments- Xiamen University – 18 February 2011 Josine van Wanrooij.
Chapter 18 Partnerships © 2008 Clarence Byrd Inc. 2 Taxable Entities In Canada  Income Tax Act › Individuals › Corporations › Trusts  Partnership income.
Chapter 13 Basis Adjustments to Partnership Property.
Commercial Real Estate Transactions Capital Gains-Income tax considerations 11 June 2009.
Review of Property Dispositions Dr. Richard Ott. Realized and Recognized Gains (Losses) from Property Sales or Exchanges.
11-1 ©2011 Pearson Education, Inc. Publishing as Prentice Hall.
Chapter 12 Partnership Distributions
© 2012 Cengage Learning. All Rights Reserved. May not be copied, scanned, or duplicated, in whole or in part, except for use as permitted in a license.
Chapter 10 Dispositions of Partnership Interests and Partnership Distributions Copyright © 2013 by The McGraw-Hill Companies, Inc. All rights reserved.
Chapter 9 Rental Activities ©2007 CCH. All Rights Reserved West Peterson Ave. Chicago, IL CCH Essentials of Federal Income.
 Click to edit Master text styles  Second level  Third level  Fourth level  Fifth level  Click to edit Master text styles  Second level  Third.
BA128A Agenda 4/19 Questions from lecture Project Review C3 Assignment - C3-38,51,58 Additional - C3-40,43,45.
If Section 351 Does Not Apply? Copyright 2005 Dwight Drake. All Rights Reserved. Business Planning: Closely Held Enterprises www. drake-business-planning.com.
Chapter 6: Allocation of Partnership Income Among the Partners: The Substantial Economic Effect Requirement.
Chapter 17 Property Transactions: § 1231 and Recapture Provisions Copyright ©2006 South-Western/Thomson Learning Individual Income Taxes.
Chapter 11 Passive Activity Losses Copyright ©2005 South-Western/Thomson Learning Eugene Willis, William H. Hoffman, Jr., David M. Maloney, and William.
Property Dispositions
1 Chapter 10: Special Partnership Issues. 2 SPECIAL PARTNERSHIP ISSUES (1 of 2) n Nonliquidating distributions n §751 assets n Liquidating distributions.
Chapter 11 Passive Activity Losses Copyright ©2006 South-Western/Thomson Learning Individual Income Taxes.
BA 128A-1 3/29 Questions from lecture Review Chapter 12 Assignment I12-28,29,40,43 Additional assignment I2-26,42,46.
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.
McGraw-Hill/Irwin Copyright (c) 2003 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 11 Dispositions of Equity Interests.
11-1 Copyright © 2013 Pearson Education, Inc. publishing as Prentice Hall.
1. 2 PROPERTY DISPOSITIONS Computation of gain or loss Character of taxable gains and losses Other property dispositions.
Chapter 13 Basis Adjustments to Partnership Property
Forming and Operating Partnerships
Special Property Transactions
Dispositions of Partnership Interests and Partnership Distributions
Forming and Operating Partnerships
Dispositions of Partnership Interests and Partnership Distributions
Forming and Operating Partnerships
©2008 Prentice Hall, Inc..
Chapter Objectives Be able to: Identify when a partnership exists.
Dispositions of Partnership Interests and Partnership Distributions
Special Property Transactions
Forming and Operating Partnerships
Dispositions of Partnership Interests and Partnership Distributions
Accounting 6160 Investments Howard Godfrey, Ph. D
Farming Joint Ventures
Chapter 12 Partnership Distributions
IAS 40 Investment Property
©2010 Pearson Education, Inc. Publishing as Prentice Hall
Taxation of Individuals and Business Entities
Chapter 10: Special Partnership Issues
Income from Business Sec
Losses - Deductions and Limitations
©2010 Pearson Education, Inc. Publishing as Prentice Hall
Qualified Opportunity Zones
Presentation transcript:

© 2012 Torys LLP. All rights reserved. Potpourri of Partnership Issues Tax Executives Institute Luncheon Craig Maurice October 10, 2012

1 Outline What is a partnership? Transactions between partners and the partnership Sale of Partnership Interests – capital account vs. income account Allocation issues – post-Penn West in the oil patch Budget 2012 – closing perceived loopholes Partnership Deferral Rules – closing more perceived loopholes

2 What Is a Partnership? Contractual relationship >statutory clarity under Partnership Act, but fundamentally a common law relationship Carrying on business in common with view to a profit Distinct from: Joint venture Agency Ownership of partnership property?? The “notional construct” of s.96(1)(c)

3 Transactions Between Partners & Partnerships Common law perspective >Can’t contract with oneself CRA views (ITTN No. 30) >salary & remuneration >other deductible amounts >loans? leases? Jurisprudence – ABILs, thin-cap, income character Workarounds

4 Partnership Interest – Capital or Income? A partnership interest is generally a bundle of rights, similar to a corporate security Therefore analysis is similar to that of holding shares in a corporate entity Intent at time of acquisition Adventure or concern in the nature of trade No equivalent to s.54.2 for partnerships Clarifying rule, not code

5 Partnership Interest – Capital or Income? …cont’d Continental Bank decision: >Facts: Taxpayers contribute leasing assets to a new partnership on December 24, Partnership interest sold to third party on December 29, >FCA: “The leading cases in the area … suggest that a variety of criteria must be looked at to make the determination. These include the intention of the parties, whether the conduct in question was similar to that of an ordinary trader, the nature and quantity of the property in question, whether the transaction was isolated in nature, and the uniqueness of the transaction when compared to the taxpayer's ordinary activities.” >FCA: “At all times, Continental's intention as regards the composite transaction was to realize a capital asset. The sale giving rise to the gain was therefore not a speculative endeavor to make profit. The gain was on capital account.”

6 Allocation Issues Contractual flexibility with few exceptions Resource expenses/proceeds must be allocated at year-end Issues with withdrawing partners or dissolutions –Timing issues on ACB recognition Reasonableness of allocation Where primarily tax motivated (s.103(1)) Where non-arm’s length partners and allocation does not correspond with capital or activity (s.103(1.1)) Impact of Penn West, Xco decisions

7 Budget 2012 – Partnerships Bad! Two major impacts on the use of partnerships >Bump limitation Proposals would limit bump with respect to partnership interests to extent partnership holds “income assets” What is perceived abuse? No step up in depreciable/deductible amounts Capital loss crystallization? Is that bad???

8 Budget 2012 – Partnerships Bad! …cont’d >Dispositions to non-residents Perceived abuse – partnership with fully depreciated assets; partner sells partnership interest to non- resident; realizes capital gain So what?? –If assets attributable to PE in Canada – no step-up –If assets attributable to PE outside Canada – where is the leakage? Comparison to existing s.100 concerns

9 Partnership Deferral Rules Brought in as part of 2011 Federal Budget Intended to eliminate the use of deferral partnerships Somewhat analogous to professional partnership rules, but complicated due to the fact that corporations do not have calendar fiscal periods as a base case Stub-accrual concept for each partner Alignment election Qualifying Transition Income (“QTI”) >Five years, as compared to 10 years under 1995 rules

Toronto New York Calgary