2024 Federal Budget analysis

2024 Federal Budget analysis

– The 2023 budget proposed a refundable ITC for clean electricity, equal to 15% of the capital cost of eligible property.
– The 2024 budget provides the design and implementation details of the ITC, including the eligibility criteria.
– The ITC will be available only to eligible Canadian corporations, including taxable Canadian corporations, provincial and territorial Crown corporations, and corporations owned by municipalities or Indigenous communities.
– Property eligible for the ITC includes equipment used to generate electricity from various sources, including solar, wind, water, nuclear fission, geothermal energy, and specified waste materials.
– The ITC will be subject to potential repayment obligations if the property is converted to an ineligible use, exported from Canada, or disposed of.
– The EV Supply Chain Investment Tax Credit is equal to 10% of the cost of buildings used in electric vehicle supply chain segments.
– The Clean Technology Manufacturing Investment Tax Credit has been updated to include production of qualifying minerals at polymetallic projects.
– An accelerated CCA of 10% is provided for new eligible purpose-built rental projects that begin construction after April 15, 2024.
– Immediate expensing is provided for certain productivity-enhancing assets acquired after April 15, 2024.
– The budget proposes to extend an exemption for certain interest and financing expenses relating to arm’s length financing used to build or acquire purpose-built rental housing.
– The government is considering introducing a new tax on residentially zoned vacant land to spur development.
– The government intends to restrict the acquisition of existing single-family homes by very large corporate investors.
– The government is exploring measures to expand access to alternative financing products for home purchasers, such as halal mortgages.
– Amendments are proposed to the CRA’s information gathering provisions to enhance tax audits and facilitate the collection of tax revenues.
– The budget proposes to remove the tax-indifferent investor exception to the anti-avoidance rule for synthetic equity arrangements.
– Specific amendments are proposed to preclude a corporation from qualifying as a mutual fund corporation if it is controlled by or for the benefit of a corporate group.
– The budget introduces the Canada Carbon Rebate for Small Business, to return a portion of the federal backstop pollution pricing fuel charge proceeds collected from a province to CCPCs with less than 500 employees.
– The budget proposes measures to address tax debt avoidance planning, including joint and several liability for taxpayers who participate in such planning.
– The budget proposes to remove the failure to file an information return in respect of a reportable or notifiable transaction under the mandatory disclosure rules from the general penalty provision.
– The budget proposes to repeal the exception to the debt forgiveness rules for bankrupt corporations and the loss restriction rule applicable to bankrupt corporations.
– The government launched consultations on the existing SR&ED tax incentives and announces a second phase of consultations to focus on specific policy parameters.

Criteria of the residency through investment scheme

Criteria of the residency through investment scheme

The new permanent residency by investment program in Cyprus allows applicants to make investments in real estate, share capital of a company, or units of a collective investment organization. Applicants must also prove they have a secure annual income of at least €50,000. The program promotes foreign investments in Cyprus, supporting local businesses and regional development.

Honey, I Shrunk The Tax Base: The Decline In Taxable Shareholders

Honey, I Shrunk The Tax Base: The Decline In Taxable Shareholders

The content discusses updated data from the Urban-Brookings Tax Policy Center showing a decreasing shareholder tax base and how it could affect tax policy. The percentage of taxable shareholders has dwindled over time, with implications for taxing dividends and capital income. Foreign investors, retirement accounts, and not-for-profit institutions are the largest groups of nontaxable shareholders. The article aims to address the issue of a shrinking tax base and provides transparency in methodology for readers to engage with the data. The implications of the decreasing shareholder tax base include the impact on corporate tax cuts benefiting foreign investors and the need to consider solutions like a withholding tax on corporate distributions to foreign investors.

Finnwatch: Tax loopholes cost state €1bn a year

Finnwatch: Tax loopholes cost state €1bn a year

The text discusses how Finland could generate over one billion euros in additional tax revenue by closing tax loopholes, according to a report by Finnwatch.

Rate cut in Q3, after hot US CPI, says deVere boss

Rate cut in Q3, after hot US CPI, says deVere boss

The CEO of deVere Group predicts that the Federal Reserve will only cut rates once this year, with the next cut not expected until January 2025.

Starbucks paid £7.2m in UK corporation tax despite gross profit of £149m

Starbucks paid £7.2m in UK corporation tax despite gross profit of £149m

Starbucks paid a low £7.2m in UK corporation tax last year despite making a gross profit of £149m on sales of £548m in Britain.

ANALYSIS-Russian veto points to ‘grim future’ for North Korea sanctions enforcement

ANALYSIS-Russian veto points to ‘grim future’ for North Korea sanctions enforcement

Russia vetoed the renewal of the panel of experts monitoring UN sanctions against North Korea, signaling a grim future for sanctions enforcement. Russia and China have denied breaking sanctions and have blocked new measures at the UN Security Council. Russia’s veto highlights its deepening ties with North Korea and its violation of sanctions by buying conventional arms. The end of the panel could lead to more evidence of sanctions violations being released to the public. Russia’s veto suggests it does not want its illegal procurement of North Korean weapons to be reported. The US and South Korea have launched a task force to prevent North Korea from procuring illicit oil, particularly from Russia.

Apple’s Irish arm paid €6.5bn in corporate income tax last year

Apple’s Irish arm paid €6.5bn in corporate income tax last year

Apple’s Irish-registered entity, Apple Operations International Limited, reported pre-tax profits of bn in 2023. The entity paid .871bn in tax, contributing to the total corporation tax collected by the Irish government. The company’s dividend paid jumped to bn in 2023. Apple appears to have exhausted deferred tax assets that helped lower its overall tax bills in recent years. The company no longer has any remaining intra group deferred tax assets.

Dividend Tax Rates in Europe

Dividend Tax Rates in Europe

The text provides information about dividend tax rates in Europe for the year 2023. The fact described in the text is that Ireland has the highest top dividend tax rate in Europe at 51 percent, followed by Denmark and the UK.