← Historical versions

Versions of s. 142.7(1), definition “qualifying foreign merger”

I-3.3 — Income Tax Act · 2 versions · View current text

Historical text comes from the Justice Laws point-in-time corpus and is unofficial — not the official version.

  1. 2017-01-01 to present available View Source
    qualifying foreign merger means a merger or combination of two or more corporations that would be a foreign merger within the meaning assigned by subsection 87(8.1) if that subsection were read without reference to the words “and otherwise than as a result of the distribution of property to one corporation on the winding-up of another corporation. (fusion étrangère déterminée)
    Full text

    qualifying foreign merger means a merger or combination of two or more corporations that would be a foreign merger within the meaning assigned by subsection 87(8.1) if that subsection were read without reference to the words “and otherwise than as a result of the distribution of property to one corporation on the winding-up of another corporation. (fusion étrangère déterminée)

  2. 2004-08-31 to 2017-01-01 View Source

    qualifying foreign merger means a merger or combination of two or more corporations that would be a foreign merger within the meaning assigned by subsection 87(8.1) if that subsection were read without reference to the words “and otherwise than as a result of the distribution of property to one corporation on the winding-up of another corporation.