I-3 - Taxation Act

Full text
1079.8.6.4. A taxpayer who is a party to a nominee contract entered into in the course of a transaction having tax consequences under this Act or who is a member of a partnership that is a party to such a contract shall, in an information return sent to the Minister under separate cover by registered mail and in the prescribed form, disclose the contract and the transaction to the Minister on or before the 90th day after the date on which the contract was entered into.
The information return must contain the following information:
(a)  the date the nominee contract was entered into;
(b)  the identity of the parties to the nominee contract;
(c)  a complete description of the facts of the transaction that is sufficiently detailed to allow the Minister to analyze it and have a proper understanding of the tax consequences;
(d)  the identity of any other person or entity in respect of which the transaction has tax consequences; and
(e)  such other information as is required by the prescribed form.
A disclosure made in accordance with the first paragraph by a party to a nominee contract is deemed to be such a disclosure made by any other party to the nominee contract.
Despite the first paragraph, the obligation to disclose provided for in that paragraph applies, in the case of a limited partnership, to all of its general partners and to them only.
2020, c. 16, s. 166.