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Charitable Gifting Issues and Strategies. Presentation to the Edmonton Estate Planning Council Chris Ireland. November 18, 2009. Agenda. Overview of charitable gifting rules Split receipting rules Excess corporate holdings regime Planning opportunities.
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Charitable Gifting Issues and Strategies Presentation to the Edmonton Estate Planning Council Chris Ireland November 18, 2009
Agenda • Overview of charitable gifting rules • Split receipting rules • Excess corporate holdings regime • Planning opportunities
Overview of Charitable Gifting Rules • Donation claim limits: • Pre 1996 – 20% of net income • 1996 – 50% • Post 1996 – 75% • 100% for year of death and immediately preceding year
Overview • Gifts to the Crown • Canadian Cultural Property • 100% of net income • No taxable capital gain • Ecologically sensitive land gifts • 100% of net income • No taxable capital gain
Overview • Budget 2000 • Designation of insurance proceeds • Designation of RRSP and RRIF proceeds • Split receipting rules • December 20, 2002 draft legislation • Income Tax Technical News #26
Overview • Gifts of publicly traded securities • 1997 – 37.5% Capital Gains inclusion rate • Feb. 28, 2000 to Oct. 17, 2000 – 33.3% Capital Gains inclusion rate • Oct. 18, 2000 to May 1, 2006 – 25% Capital Gains inclusion rate • After May 1, 2006 – nil inclusion rate • Budget 2007 • Private foundations • Budget 2008 • Exchangeable securities
Split Receipting Rules • Intention to give - amount of advantage cannot exceed 80% of the FMV of transferred property • Eligible amount of gift = FMV of property less amount of advantage • Amount of advantage = amount of property, service, compensation or other benefit received
Anti-Avoidance Rules • Watch out for subsections 248(35) to (41) • 3 year and 10 year rules • Look back rule for certain non-arm’s length transactions • Exceptions – egs. Canadian cultural property, ecologically sensitive land, certain rollover transactions
Excess Corporate Holdings Regime • Rules apply to both publicly listed and unlisted shares • Three ranges of shareholdings • Safe Harbour • Monitoring phase • Divestment required • 2008 Federal Budget added proposals for unlisted shares and shares held by a trust
Planning Opportunities • Wasting freezes and Canadian cultural property/ecologically sensitive land • Gifting publicly traded securities through a corporation • Flow through shares • Gifts by will and via trusts • Donation of private company shares • Donation of life insurance
Wasting Freezes and Canadian Cultural Property/Ecologically Sensitive Land • Use the donation credit to offset taxes arising on the redemption of preferred shares • Example • shareholder of Family Co - $5 million of freeze preferred shares • wants to donate $1 million of Canadian cultural property • the resulting donation credit would offset $1.8 million of preferred shares (deemed dividend)
Gifting Publicly Traded Securities Through a Corporation • What if shareholder owns the securities (with reasonable amount of ACB); wants to donate; wants to extract corporate funds? • Consider: • Shareholder transfers securities to private corporation at ACB in exchange for promissory note and shares – section 85 election • Corporation donates securities; claims deduction and paragraph 38(a.1) treatment • CDA created on donation
Gifting Publicly Traded Securities Through a Corporation (continued) • Corporation must have cash flow; shareholder wants/needs funds • GAAR?
Donating Flow Through Shares • Flow through share deduction plus the donation credit • Example • $100,000 of flow through shares • $39,000 of tax savings from the flow through deductions • $50,000 of tax savings from the donation (assuming the $100,000 value has been maintained) • Issues • value of the donation • use of a “liquidity provider” • CRA rulings
Gifts By Will and Via Trusts Gifts by will - post-mortem planning issues: • Must consider donation planning via will with post-mortem planning alternatives • size of donation vs. expected income for the year of death • deemed capital gain for private company shares • CDA • RDTOH • Draft will so that donation is claimed by the estate?
Mr. W Example #1 • Potential donation on death - $500,000 • Post mortem capital loss planning – using the RDTOH would eliminate the deemed capital gain on death • How/where to claim the donation? – terminal return (and/or return for the immediately preceding year) vs. estate return $3 Million FMV +Capital Gain RDTOH $1 Million W Co.
Mr. X Example #2 • Potential donation on death - $500,000 • No post mortem capital loss planning $3 Million FMV + Capital Gain RDTOH and CDA - Nil X Co.
Spousal Trusts Spousal trusts and charitable gifts: • If spousal trust established in will, with intention to have charitable gift after death of spouse: • No right of encroachment - net present value of the future donation is claimed on terminal return • If spousal rollover - sufficient income on date of death return? • Subsection 70(6.2) election? • Other post-mortem planning • Consider providing a right to encroach on capital in spousal trust - gift will be spousal trust’s?
Spousal Trusts (continued) • If charity is a capital beneficiary under the spousal trust: • No donation (technical interpretations 991821, 2000-0056625 and 2001-0076753) • May qualify as a charitable remainder trust? • If spousal trust gives executor discretion to make gift: • Subsection 118.1(5) – N/A – no deeming provision for the gift • No carry-back of donation • Must make gift in the same taxation year as spouse beneficiary’s death
Example – Spousal Trust • Death of spouse beneficiary • Deemed capital gain • Capital loss planning to utilize the RDTOH? • Donation after death – gift vs. capital distribution • Timing – eg. Aug. 15 DOD and Nov. 30 year end $3 Million FMV + Capital Gain Private Co. RDTOH - $1 Million ABC Co.
Alter Ego/Joint Partner Trusts • Also not subject to subsection 118.1(5) • Donation vs. distribution to charity as beneficiary • Terms of the trust • Expected income of the trust - significant deemed capital gains on death?
Mr. X Donation of Private Company Shares • Funding? • Non-qualifying security rules FreezePreferred Shares ParticipatingShares Will -20% X Family Trust X Co.
Mr. X Donation of Private Company Shares • Post-mortem planning • Deemed dividend-paid to charity • Donation receipt/credit in Mr. X’s final return FreezePreferred Shares Will -20% of shares ParticipatingShares X Family Trust X Co.
Donation of Life Insurance- Existing Policy • Absolutely assigned to charity • Donee becomes the registered owner • Donation receipt – now to be FMV – 2007 APFF CRA Roundtable and 2008 CALU Conference • Donation receipt – for payment of future premiums • Donor – disposition of the life insurance policy • Potential income inclusion • Enduring property designation
Gift of In-Force Policy Gift of in-force policy • Disposition of policy for “value” (i.e. cash surrender value) • CRA’s changed position on amount of the gift • Charity will want to make arrangements for ongoing premium payments • Enduring property designation • Not included in estate for probate purposes
Gift of In-Force Policy - Example • Bob, now age 56, acquired a $2 million T100 policy for buy-sell funding 15 years ago • Six years ago he had a heart attack and is no longer insurable • Wants to reduce coverage (and premium cost) to $1 million • Actuary has assessed FMV of the policy at $500,000 • If he gifts 50% interest in policy to charity, Bob will receive $250,000 charitable receipt with no gain as policy disposition deemed to take place for “value” (nil as no cash surrender value)
Shared Ownership • Donor is owner of the cash or fund values • Charity is owner of the death benefit • Amount of the gift for the donor • Disbursement quota issues
Shared Ownership • Proposed split receipting rules now permit donor to retain an advantage from a gift to a charity and permits “charitable shared ownership” • Donor obtains charitable credit for premium payment and can take advantage of the exempt status of the policy
Charity As Designated Beneficiary • Personally owned • Subsections 118.1(5.1) and (5.2) • Large gift on death – 100% credit; one year carry back • Could be used to offset deemed capital gain • No donation receipt for premiums • Alternative • gifting life insurance proceeds through will
Mr. X Charity As Designated Beneficiary Charity A $1 Million Common SharesVoting/Participating X Co.2 Million
Charity As Designated Beneficiary Corporate owned • Donor? – individual vs. company • Capital dividend account • Terms of the will
Corporate Donation of Securities Revisited • Replacement of capital • Corporate deduction for charitable gift • No tax on capital gains from gifted property • Credit to CDA to extent of non-taxable capital gain arising from gifted property • Life insurance replaces value of gifted property and creates additional CDA credit
Donation of Private Company Shares Revisited • Life insurance to provide liquidity to repurchase the shares • Post mortem planning advantages
Mr. X Donation of Private Company Shares Revisited • Funding the gift with life insurance • CDA credit for X Co. • Funding the repurchase of shares • Gifting shareholder loans FreezePreferred Shares Will -20% or equivalent substituted value ParticipatingShares X Family Trust X Co.
Charitable Insured Annuities • Charitable annuity - irrevocable contribution made by donor • In return, receive annuity payments • Fixed term • Life expectancy • Donation = FMV of contribution less amount paid to acquire the annuity
Charitable Insured Annuities • Charitable insured annuity – fixed income alternative • Prescribed annuity if personally owned • Registered charity – owner of the life insurance policy • Donation receipt – payment of life insurance premiums
Charitable Insured Annuities • Designed for a donor in fixed income investments that wants to make charitable gifts while not significantly impacting after-tax cash flow • Donor uses fixed income investments to acquire a prescribed annuity • Donates the income portion of the annuity and purchases a T100 policy to replace capital on death • After-tax cash flow is often greater than the fixed income strategy