← Historical versions

Versions of s. 251.1(3), definition “majority interest group of beneficiaries”, para (a)

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. 2013-12-12 to present available View Source
    if one person held the interests as a beneficiary of all of the members of the group, that person would be a majority-interest beneficiary of the trust; and
    Full text

    if one person held the interests as a beneficiary of all of the members of the group, that person would be a majority-interest beneficiary of the trust; and

  2. 2005-05-13 to 2013-12-12 View Source

    if one person held the interests as a beneficiary of all of the members of the group, that person would be a majority-interest beneficiary of the trust; and