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On 12 March 2024, updated administrative guidance was released by the Canada Revenue Agency (CRA) on how it intends to apply an ”education-first” approach to the application of significant late-filing penalties in respect of bare trusts.
Legislative amendments enacted in December 2022 require many trusts, including bare trusts and other informal trust relationships, to file an annual T3 trust income tax and information return (T3 return).
Since all trusts affected by the new requirements have a calendar year-end, the new rules effectively apply for the 2023 and later taxation years. A trust with a calendar year-end must file its income tax return for the 2023 taxation year by 2 April 2024,1 and this return has to include new information required under these rules.2
Under the Income Tax Act (the Act), a new penalty framework for trusts was introduced under subsections 163(5) and (6) and applies to any person or partnership that is subject to the additional reporting requirements in new section 204.2 of the Income Tax Regulations and that fails to file a T3 return (including the Schedule 15 beneficial ownership schedule) for the taxation year, effective for taxation years ending after 30 December 2023. These penalties are equal to the greater of $2,500 and 5% of the highest total fair market value of all property held by the trust in the year, with no maximum penalty.
Of specific concern to taxpayers has been the language contained in subsection 163(5), which could apply the harsh penalty framework under circumstances where the taxpayer “knowingly or under circumstances amounting to gross negligence” failed to file a return.
As the new T3 return filing obligations have been extended to include an entire population of arrangements that previously did not apply, many taxpayers are aware and know of their obligation to file the tax returns but are struggling to meet the compliance requirements due to the volume of expanded tax returns and/or the inability to obtain information about known persons who are to be disclosed on the new Schedule 15. Additionally, other taxpayers are still in the process of determining if certain arrangements constitute a bare trust (subject to the T3 return filing requirement) and may, therefore, need additional time to consult with their legal counsel to reach a conclusion.
On 12 March 2024, the CRA updated sections of its web page, “New reporting requirements for trusts: T3 returns filed for tax years ending after December 30, 2023,” which provides administrative guidance associated with the new trust filing obligations.
Specifically, Section 3.5 of the CRA’s guidance was updated to address the intended application of the expanded penalty framework associated with subsections 163(5) and (6) of the Act.
The text of the CRA’s update is reproduced below:
As some bare trusts may be uncertain about the new requirements, the CRA is adopting an education-first approach to compliance and providing relief to bare trusts by waiving the penalty payable under subsection 162(7) of the Income Tax Act for the 2023 tax year in situations where the T3 Return and Schedule 15 are filed after the filing deadline for reasons other than gross negligence. For the 2023 tax year, where the tax year of the trust ends on December 31, 2023, the filing deadline of March 30, 2024, is extended to April 2, 2024, the first business day after the deadline.
This proactive relief is for bare trusts only and only for the 2023 tax year.
While the Act also includes a gross negligence penalty under subsection 163(5), as part of the CRA’s education-first approach, the CRA will only apply this penalty in the most egregious cases where a bare trust fails to file. Imposing such penalty would only occur in the context of a compliance action, such as an audit, where all factors and circumstances of the taxpayer’s particular situation are considered together. A gross negligence penalty for failing to file will be subject to oversight and approval by Headquarters, following a mandatory referral.
Under the Act, the gross negligence penalty is equal to the greater of $2,500 and 5% of the highest amount at any time in the year of the fair market value of all the property held by the trust.
The updated administrative guidance represents welcome relief to taxpayers. However, two key insights and issues remain:
For greater certainty, agents and nominees have always had an obligation to file a T3 return, T5 information return or T5013 information return under the Income Tax Regulations for various forms of income generated on investments held in trust for an ultimate beneficial owner.3 Identification of various bare trust and nominee arrangements with a view to complying with the new expanded Schedule 15 disclosure requirements may uncover instances of non‑compliance with various historically required information returns. Voluntary Disclosure Program applications may be a relevant consideration to address penalty exposure.
For more information on the new trust reporting requirements, please contact your EY or EY Law tax advisor or one of the following professionals:
Ameer Abdulla
+1 519 571 3349 | ameer.abdulla@ca.ey.com
Gabriel Baron
+1 416 932 6011 | gabriel.baron@ca.ey.com
Sharron Coombs
+1 416 932 5865 | sharron.coombs@ca.ey.com
Elena Doucette
+1 416 943 3193 | elena.doucette@ca.ey.com
Teresa Gombita
+1 416 943 3272 | teresa.gombita@ca.ey.com
Wesley Isaacs
+1 416 932 6003 | wesley.isaacs@ca.ey.com
Hayat Kirameddine
+1 780 412 2383 | hayat.kirameddine@ca.ey.com
Ken Kyriacou
+1 416 943 2703 | ken.kyriacou@ca.ey.com
Stéphane Leblanc
+1 514 879 2660 | stephane.leblanc@ca.ey.com
Benoît Millette
+1 514 879 3562 | benoit.millette@ca.ey.com
Jeremy Shnaider
+1 416 943 2657 | jeremy.shnaider@ca.ey.com
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