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Update: Taxation of Life Insurance and Strategies
Presented to: NYDCAAPrepared By: Joe Yukich CPA, CA
[email protected] 416-432-5429
Legislative Update 10/8 Strategy
Universal life policy and loan arrangement all in one. Earn 8% (exempt) in plan and pay 10% (deductible) on loan Challenged by CRA Eliminated in March 2013 Federal Budget Final Legislation
Legislative Update 10/8 Strategy (con’t)
Final Legislation effective after 2013 Applicable to pre and post March 2013 policies Interest deduction denied (S. 20(1)(c)) Collateral insurance deduction denied (S. 20(1)(e.2))
Legislative Update 10/8 Strategy (con’t)
Final Legislation effective after 2013 Reduction in CDA death benefit
Offending collateral loan outstanding immediate before death To facilitate restructuring, no gain on cash withdrawals to pay down collateral
loans Withdrawal must be made after March 20, 2013 and before April 2014 Adverse consequences above still apply after 2013
Legislative UpdateLeveraged Insured Annuities (LIAs)
Life annuity and life insurance policy Collateral to borrow funds Interest expense (S. 20(1)(c)) Collateral insurance deduction (S. 20(1)(e.2)) CDA on death to private company
Legislative UpdateLeveraged Insured Annuities (LIAs) (con’t) March 2013 Federal Budget Changes Final Legislation
Grandfathering for loans in place at Budget date with no subsequent increase Interest deduction ok if S 20(1)(c) otherwise permits Collateral insurance deduction denied S. 20(1)(e.2)
Legislative UpdateLeveraged Insured Annuities (LIAs) (con’t) March 2013 Federal Budget Changes Final Legislation
Annuity premium included in valuing private company shares at death Policies denied exempt status and subject to accrual tax CDA addition denied on death benefit
Life Insurance StrategiesTax Effective Transfers of Life Insurance Between Non Arm’s Length (NAL) Parties
Overriding Rule for Transfer of Life Insurance Policies Deemed proceeds = deemed cost = Cash Value of policy or nil if non-cash policy Does not apply to taxable benefit on transfer (so be careful)
Life Insurance StrategiesTax Effective Transfers of Life Insurance Between Non Arm’s Length (NAL) Parties
Consider transfer of low cash policy on shareholder’s life to Private Co. for FMV to obtain tax-free cash from Private Co.
Deemed proceeds = 0 (i.e. not a cash policy) Deemed cost = 0 = ACB to Private Co. If FMV of policy = $100,000 then shareholder receives $100,000 tax-free from sale
proceeds Not affected by February 2014 Federal Budget but stay tuned.
Life Insurance StrategiesTax Effective Transfers of Life Insurance Between Non Arm’s Length (NAL) Parties
Consider other factors: Future sale of company with life policy Beneficiary of policy likely should be corporation Other shareholders and impact on estate plan Obtain valuation - specialty Other
Life Insurance StrategiesUse life Insurance to Defer Death Tax To Next Generation
EXAMPLE
Dad owns 100% of PC Co. common worth $5 million and leaves to Mom at his death.
Mom leaves shares to children at her death
No capital gains tax at Dad’s death but payable at Mom’s death in amount of $1.2 million.
May require bank financing (if available) or partial liquidation of PC Co. shares to pay death tax.
Life Insurance StrategiesUse life Insurance to Defer Death Tax To Next Generation
EXAMPLE (con’t)
Freeze Dad’s Shares and Create FT
Convert Dad’s PC Co. common shares to $5 million fixed value preferred shares (tax-free)
FT subscribes for Opco common shares for $100.
Opco buys $5 million life insurance policy on Dad and pays for from after-tax profits of business
Life Insurance StrategiesUse life Insurance to Defer Death Tax To Next Generation
EXAMPLE (con’t)
Freeze Dad’s Shares and Create FT
At time of Dad’s death, PC Co. preferred shares transferred to Mom tax-free.
PC Co. redeems Mom’s preferred shares tax-free with Capital Dividend Account (CDA) created from life insurance proceeds on Dad’s death.
No capital gains tax at Mom’s death and no need to incur bank debt or liquidate PC Co.
Life Insurance StrategiesUse life Insurance to Defer Death Tax To Next Generation
EXAMPLE (con’t)
Freeze Dad’s Shares and Create FT
Consider transfer of existing policy on Dad to Private Co to effect deferral to next generation
Extract tax-free cash