ESTATE PLANNING WITH REAL ESTATE

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Transcription:

ESTATE PLANNING WITH REAL ESTATE Jason Hale, CA Greg Leslie, CA

TOPICS Deemed Dispositions on Death Residential Property Capital Gain Recreational Property Capital Gain Investment Property Capital Gain/Recapture Tax Implications, Planning, and Compliance Issues US Real Property Estate Issues

RESIDENTIAL PROPERTY PRINCIPAL RESIDENCE EXEMPTION Availability on Deemed Disposition Eligibility: Ownership and Occupancy Tests Spousal Rollovers and PR Exemption

RESIDENTIAL PROPERTY PRINCIPAL RESIDENCE EXEMPTION, cont d Consider pre-1982 transitional rules Filing Requirements Personal Use Property loss denial

RESIDENTIAL PROPERTY Ownership Through Alter-Ego/Joint Partner Trusts Rollover to Trust Eligibility for Exemption Filing Requirements on Death Capped Assessements

RECREATIONAL PROPERTY Principal Residence Exemption is a Possibility Occupancy Test is not burdensome Where is the greater gain? Consider pre-1982 rules

RECREATIONAL PROPERTY Initial transfer to a spouse/spousal trust Consider V-Day Value Consider 1994 Elections Consider Cost of Additions

RECREATIONAL PROPERTIES SOLUTIONS: Put it in kids names when acquired Ownership through trust Cottage Trust Corporate Ownership? NPO

INVESTMENT PROPERTY No Principal Residence Exemption Property does not qualify, corporate owned Capital Gains and Recapture Double Tax Problem is exemplified with real property due to buyers asset sale bias

INVESTMENT PROPERTY DOUBLE TAX SOLUTIONS Share redemption and Loss Carryback Capital Gain on shares incurred on death Building is sold by company (CDA, RDTOH) Shares are redeemed Capital Loss is carried back to the terminal return

INVESTMENT PROPERTY DOUBLE TAX SOLUTIONS Pipeline Strategy After Capital Gain on death, estate has full ACB in company s shares Estate sells shares to Newco for no further gain due to full ACB Realco is wound up into Newco Bump up ACB of land Property is then sold at reduced gain

Acquisition of US Real Property by Canadian Residents Jason Hale, CA (902)491-7752 In accordance with applicable regulations, please understand that, unless expressly stated otherwise, any written advice contained in this presentation is not intended or written by Grant Thornton LLP to be used, and cannot be used, by any person for the purpose of avoiding any penalties that may be imposed under the Internal Revenue Code.

Agenda Tax Considerations When Purchasing US Real Property by Residents of Canada Rental Income from US Property US Estate Tax Ownership of US Property Sale of US Property

Basic overview of US tax system The U.S. tax system is comprised of the following: 1) Income tax 2) Estate tax 3) Gift tax 4) Generation skipping tax 5) State and Local Taxes All have significant penalties for non-compliance and not filing appropriate forms

Rental Income Subject to US withholding tax at 30% of gross rents Election to file US tax return and pay tax on net rental income Deductions for rental expenses and depreciation (mandatory) Proration of expenses for personal use of the property

US Estate Taxes December 2010 US Tax Relief Act reinstated the US Estate Tax for decedents dying after 2010. $5 million exemption (indexed for inflation after 2011) 35% top rate special rules for 2010 deaths

US Estate Taxes Applicable to US citizens even if resident in Canada Applicable to Canadians who are not US citizens or residents with respect to specific assets Treaty provisions reduce Estate Taxes for Canadians and provide for foreign tax credits Treaty apportionment of exemption: = US SITUS ASSET VALUE TOTAL WORLD ASSET VALUE Special definitions of assets and values.

US Estate Taxes US Assets owned by Canadians which are subject to the tax: Real property situated in the US Stocks issued by a US corporation (even if in an RRSP or RRIF) Bonds issued by US debtor Debt obligations of US citizens US Partnership interest with a US trade or business US pensions, annuities and IRAs Cash in US bank if related to a US trade or business

US Estate Taxes Complex calculations Filing of return required 9 months following death (application for extension for additional 6 months) Penalties for failure to file Filing required when US assets exceed $60,000 US for a US non-resident (even if no tax owing) Need to file to claim treaty benefits Some US States also impose an estate tax

Ownership Options Personal Ownership Canadian Company Canadian Partnership Canadian Discretionary Trust

Personal Ownership Factors for consideration: Lower individual tax rates on gain from sale. Value of property: Does current and future value warrant planning/structuring costs? Held by spouse with lowest net worth to take advantage of unified credit exemption under tax treaty Life insurance to cover US liability (issues: cost of insurance/escalating property value) Use of non-recourse debt to reduce net estate value

Canadian Company Historical perspective: Single Purpose Holding Companies (SPC) PROS: Avoided US estate Tax No Canadian taxable benefit to shareholder use of property: CRA administration policy if certain conditions met CONS: Higher corporate tax rates on sale Jan 1, 2005 : CRA administration policy on taxable benefits cancelled (existing SPC's grandfathered on policy) Taxable benefit on new corporate holdings equal FMV rent or value based on cost of capital With demise of SPC, CDN corporate ownership not a good option

Canadian Partnership Lower personal tax rates on sale High risk that IRS will attribute partnership assets to partners and levy US estate tax Consider: Check the box election to treat partnership as a corporation for US purposes (this creates other issues such as higher corporate income tax rates and risk of IRS challenge) NOTE: The use of partnerships more appropriate to real estate development or other related business and not to ownership of personal use real estate

Canadian Discretionary Trust Avoids US estate tax for mother/father on ownership of US property Access lower personal tax income rates on sale during lifetime Funding of trust by gift from one spouse Requires planning to deal with trust's 21 year deemed disposition No annual T3 filing required unless income earned by trust

Sale of US Property Subject to US tax on capital gain which requires tax returns and withholding taxes 10% US Tax withheld on sale (subject to certain exceptions) Require US ITIN if personal ownership US Tax return to be filed Early refund procedures Canadian tax with foreign tax credit for US tax

Any Questions? Thanks for your time!