Section 86.1 of the Income Tax Act allows Canadian resident shareholders of foreign corporations to make a special election in respect of certain eligible distributions of spin-off shares. This election is available for qualifying shareholders who are individuals, trusts, and corporations.
A qualifying shareholder who makes this election can exclude from income the amount that would otherwise be considered a taxable foreign dividend. However, the adjusted cost base (ACB) of the spin-off shares will not be their fair market value as would otherwise be the case. Instead, the ACB will be based on the cost of the original shares that generated the distribution of the spin-off shares. This cost will be allocated between the original shares and the spin-off shares.
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