← Historical versions

Versions of s. 84.1(2)(e)

I-3.3 — Income Tax Act · 3 versions · View current text

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

  1. 2024-06-20 to present available View Source
    notwithstanding any other paragraph in this subsection, if thethis paragraph applies because of subsection (2.31) or (2.32) to a disposition of subject shares are qualified small business corporation shares or shares of the capital stock ofby a familytaxpayer farmto ora fishingpurchaser corporation within the meaning of subsection 110.6(1),corporation, the taxpayer and the purchaser corporation are deemed to bedeal dealingwith each other at arm’s length ifat the purchaser corporation is controlled by one or more children or grandchildrentime of the taxpayer who are 18 years of age or older and if the purchaser corporation does not disposedisposition of the subject shares within 60 months of their purchase.shares.
    Full text

    notwithstanding any other paragraph in this subsection, if this paragraph applies because of subsection (2.31) or (2.32) to a disposition of subject shares by a taxpayer to a purchaser corporation, the taxpayer and the purchaser corporation are deemed to deal with each other at arm’s length at the time of the disposition of the subject shares.

  2. 2021-06-29 to 2024-06-20 View Source
    [Repealed,if 1998,the c.subject 19,shares s.are 115(3)]qualified small business corporation shares or shares of the capital stock of a family farm or fishing corporation within the meaning of subsection 110.6(1), the taxpayer and the purchaser corporation are deemed to be dealing at arm’s length if the purchaser corporation is controlled by one or more children or grandchildren of the taxpayer who are 18 years of age or older and if the purchaser corporation does not dispose of the subject shares within 60 months of their purchase.
    Full text

    if the subject shares are qualified small business corporation shares or shares of the capital stock of a family farm or fishing corporation within the meaning of subsection 110.6(1), the taxpayer and the purchaser corporation are deemed to be dealing at arm’s length if the purchaser corporation is controlled by one or more children or grandchildren of the taxpayer who are 18 years of age or older and if the purchaser corporation does not dispose of the subject shares within 60 months of their purchase.

  3. 2004-08-31 to 2021-06-29 View Source

    [Repealed, 1998, c. 19, s. 115(3)]