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Tax Interpretations
Canadian tax interpretations and transactional implications
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CRA finds that the holding of a US cottage by a discretionary family trust that was an eligible group entity of real estate Cancos likely would taint the latter under (c)(i) of “excluded entity”
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(Your name) has forwarded "CRA finds that the holding of a US cottage by a discretionary family trust that was an eligible group entity of real estate Cancos likely would taint the latter under (c)(i) of “excluded entity”" - Tax Interpretations
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