EY Law LLP is a Canadian law firm, affiliated with Ernst & Young LLP in Canada. Both EY Law LLP and Ernst & Young LLP are Ontario limited liability partnerships. For more information about the global EY organization please visit www.ey.com.
Tax Alert 2024 No. 25, 25 April 2024
On 16 April 2024, as part of the 2024 federal budget, the government introduced several revisions and technical amendments (updated amendments) to the proposed changes to the alternative minimum tax (AMT) regime introduced in the 2023 federal budget for taxation years beginning after 2023. The updated amendments contain mostly welcome changes that address some concerns identified by stakeholders with respect to certain measures in the initial draft legislative proposals released on 4 August 2023 (initial amendments).
In this Tax Alert, we provide a brief overview of the updated amendments to the AMT regime. For a discussion of the initial amendments and how they may impact certain high‑income individuals, see EY Tax Alert 2023 Issue No. 45, Alternative minimum tax: Significant changes will impact taxpayers in 2024.
Broadly speaking, the initial amendments target the AMT base by further limiting tax preference items, increase the basic exemption amount and the AMT rate, and extend eligibility for the general AMT exemption to additional types of trusts. These amendments were intended to target high-income individuals to ensure they pay a share of tax proportionate to their income, while removing the application of AMT from most middle-class Canadians.
One of the most notable concerns arising from the initial amendments was the treatment of the charitable donation tax credit for AMT purposes. As discussed below, this concern, along with some others, has been addressed by the updated amendments. However, no amendments are proposed to address the concerns raised with respect to the 30% inclusion rate for capital gains arising from the donation of publicly listed securities. Under the pre-2024 AMT regime, such capital gains were excluded from the AMT base.
Aside from these revisions, the updated amendments largely retain the core elements of the initial amendments.
The key updated amendments to the AMT regime are summarized below.
Since the release of the initial amendments, the charitable sector has expressed strong concerns that this reduction in the inclusion rate may disincentivize significant, one-time, charitable donations, potentially resulting in decreased funding for charities. These gifts may stem from a memorial donation or in response to an educational or medical institution’s specific need. In addition, the initial amendments may result in donors spreading out their donations over several years to limit their annual AMT exposure.
In response to these concerns, the updated amendments permit a claim of 80% of the charitable donation tax credit when calculating AMT.
For other permitted tax credits, the 50% inclusion rate remains unchanged, with two exceptions noted below.
Additionally, certain trusts established for the benefit of Indigenous groups or communities will also be exempt from AMT, provided the necessary conditions are met. The government has invited interested parties to submit their views on these proposed exemptions.
The 2024 federal budget proposed to increase the capital gains inclusion rate from one half to two thirds for corporations and trusts for capital gains realized on or after 25 June 2024. For individuals, the inclusion rate will increase from one half to two thirds on the portion of capital gains realized in the year that exceeds $250,000, for capital gains realized on or after 25 June 2024.
While it may be beneficial to accelerate the recognition of a substantial capital gain before 25 June 2024 to avoid the imminent higher inclusion rate, other factors must also be considered in implementing any tax planning strategies, including the potential impact of the proposed AMT amendments. Consult your EY advisor to assess the impact of any planning that may be available to help minimize your tax liability.
To learn more about the proposed AMT regime, please contact your EY or EY Law advisor, or one of the following professionals:
Ameer Abdulla
+1 519 571 3349 | ameer.abdulla@ca.ey.com
Sharron Coombs
+1 416 932 5865 | sharron.coombs@ca.ey.com
Sandra Hamilton
+1 416 941 7794 | sandra.a.hamilton@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
Leah Shinh
+1 519 571 3325 | leah.c.shinh@ca.ey.com
Troy Stanley
+1 709 570 8290 | troy.a.stanley@ca.ey.com
Andrew Stevens
+ 1 416 943 5228 | andrew.stevens1@ca.ey.com
Perry Yuen
+1 604 643 5451 | perry.yuen@ca.ey.com
___________________
Budget information: For up-to-date information on the federal, provincial and territorial budgets, visit ey.com/ca/Budget.