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  • ARTICLE - Canada

    Changes to Canadian Capital Gains

    05 May

    Changes to Canadian Capital Gains – Introduction

    In a move to revamp its fiscal approach, Canada’s Budget 2024 proposes significant changes to how capital gains are taxed under the Income Tax Act.

    Key Changes Proposed

    Increase in Inclusion Rate

    The budget proposes to increase the capital gains inclusion rate from one-half to two-thirds.

    For individuals, this increased rate applies to capital gains exceeding $250,000 in a year. For corporations and trusts, the new rate applies universally.

    Adjustments for Tax Calculations

    The $250,000 threshold for individuals will consider net calculations, accounting for current-year capital losses, carried forward or back losses, and gains where specific exemptions like the Lifetime Capital Gains Exemption have been claimed.

    Application of Losses

    Net capital losses incurred under the previous one-half inclusion rate can still offset gains after the rate change, ensuring losses retain their full offsetting value.

    Stock Option Deduction Changes

    To align with the new inclusion rate, adjustments will be made to the stock option deduction rules.

    The available deduction will remain at one-half for combined capital gains and employee stock options up to $250,000, reducing to one-third beyond this limit.

    Effective Date and Transitional Rules

    The new regime will apply to gains realized on or after 25 June 2024.

    Special transitional rules will help manage gains and losses across the changeover period, particularly for taxation years that span the implementation date.

    Broader Implications and Considerations

    Impact on Integration Principle

    The changes challenge the principle of integration in Canada’s tax system by potentially disincentivising the use of holding corporations for investment purposes due to the lack of a $250,000 exemption for such entities.

    International Considerations

    There is no distinction between residents and non-residents in the application of these rules, suggesting potential amendments to the withholding tax rate on non-residents disposing of taxable Canadian property.

    Revenue Projections

    The government anticipates additional federal revenue of approximately $19.4 billion over five years, with provincial revenues potentially increasing by $11.6 billion. The bulk of this is expected soon after implementation, indicating an anticipated rush by taxpayers to realize gains before the new rules take effect.

    Inflation Adjustments

    It remains unclear if the $250,000 exemption for individuals will be indexed for inflation, which could gradually erode its real value over time.

    Strategic Responses for Taxpayers

    Taxpayers should consider whether to accelerate transactions to realize gains before the June 25, 2024 effective date.

    Additionally, the strategic use of loss carrybacks or reserves could be beneficial, especially if these can offset higher-taxed gains post-change.

    Businesses and individuals should also re-evaluate the holding structures for their investments, potentially moving away from corporate vehicles to more tax-efficient entities like limited partnerships or direct holdings.

    Changes to Canadian Capital Gains – Conclusion

    Budget 2024’s proposed changes to capital gains taxation represent a significant shift in Canada’s tax landscape.

    While aiming to generate substantial revenue, these changes pose new challenges and planning opportunities for taxpayers.

    As the government has yet to release detailed implementing legislation, ongoing vigilance and flexibility in tax planning will be crucial for all affected parties.

    Final thoughts

    If you have any queries about this article on Changes to Canadian Capital Gains, or tax matters in Canada more generally, then please get in touch.

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