Foreign corporations have to file certain information with the Canada Revenue Agency (CRA) so that its Canadian shareholders can elect under section 86.1 in respect of the spin-off dividend.
U.S. corporations have to provide the following information and documentation:
The CRA will be able to review the submission more quickly if a copy of the information package mailed to shareholders announcing and/or describing the distribution is provided with the above information.
If the shares distributed in the course of the spin-off had rights to purchase other shares attached to them, the corporation should confirm that the rights plan was established for bona fide business purposes other than to obtain a tax benefit. It should also confirm that the rights did not have any significant value independent of the shares being spun-off at the time of the spin-off. The corporation should provide a copy of the shareholder rights plan or the information circular describing the nature of the rights plan (and, in particular, the contingent nature of the rights being transferred with the spin-off shares).
Non-U.S. corporations have to file the same information as U.S. corporations, with the following changes:
Furthermore, for non-U.S. spin-offs, the distribution is also subject to other terms and conditions that are prescribed by the Department of Finance. If a non-U.S. spin-off meets all of the other conditions, the CRA will request that the Department of Finance consider it for prescription.
If the spin-off is approved, you may want to make it public on the CRA Web site to reduce the corporation's workload on informing Canadian shareholders.
To make the approved spin-off public on the CRA web site, we need a written consent signed by an officer of the corporation. You may use the following text:
"I, (name and title), on behalf of (name of corporation), consent to the Canada Revenue Agency (CRA) publishing that the spin-off of (name of the other corporation) has been approved on (date of spin-off) for the purposes of section 86.1 of the Income Tax Act."
Send all documentation to:
Canada Revenue Agency
Quebec Tax Services Office
International Audit, Division 442
2nd Floor, 165 de la Pointe-aux-Lièvres
Quebec, QC
G1K 7L3
Canada
The CRA has to receive this information before the end of the sixth month following the day of distribution. This deadline cannot be extended.