← Historical versions

Versions of s. 93(2.11)(b)(ii)(A)(II)

I-3.3 — Income Tax Act · 1 version · View current text

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

  1. 2013-06-26 to present available View Source

    is in respect of the settlement or extinguishment of a foreign currency debt that was issued or incurred by the disposing partnership within 30 days before or after the acquisition of the affiliate share by the disposing partnership, was, at all times at which it was a debt obligation of the disposing partnership, owing to a person or partnership that dealt, at all times during which the foreign currency debt was outstanding, at arm’s length with the particular corporation, and can reasonably be considered to have been issued or incurred in relation to the acquisition of the affiliate share, or