Publication 597 |
2001 Tax Year |
Investment Income from Canadian Sources
The treaty provides beneficial treatment for certain items of
Canadian source income that result from an investment of capital.
Dividends (Article X).
For Canadian source dividends received by U.S. residents, the
Canadian income tax generally may not be more than 15%.
A 5% rate limit applies to intercorporate dividends paid from a
subsidiary to a parent corporation owning at least 10% of the
subsidiary's voting stock. However, a 10% rate applies if the payer of
the dividend is a nonresident-owned Canadian investment corporation.
These limits do not apply to dividends arising from a business
carried on in Canada through a permanent establishment or fixed base
of the recipient if the holding on which the income is paid is
effectively connected with that permanent establishment or fixed base.
Interest (Article XI).
For Canadian source interest received by U.S. residents, the
Canadian income tax generally may not be more than 10%.
This limit does not apply to interest arising from a business
carried on in Canada through a permanent establishment or fixed base
of the recipient if the debt on which the income is paid is
effectively connected with that permanent establishment or fixed base.
Gains from the sale of property (Article XIII).
Gains from the sale of personal property by a U.S. resident having
no permanent establishment or fixed base in Canada are exempt from
Canadian income tax. However, the exemption from Canadian tax does not
apply to gains realized by U.S. residents on Canadian real property,
and on personal property belonging to a permanent establishment or
fixed base of the taxpayers in Canada.
If the property subject to Canadian tax is a capital asset and was
owned by the U.S. resident on September 26, 1980, not as part of the
business property of a permanent establishment or fixed base in
Canada, generally the taxable gain is limited to the appreciation
after 1984.
Royalties (Article XII).
For Canadian source royalties received by U.S. residents, the
Canadian income tax generally may not be more than 10%.The following
are exempt:
- Copyright royalties and other like payments for the
production or reproduction of any literary, dramatic, musical, or
artistic work (other than payments for motion pictures and works on
film, videotape, or other means of reproduction for use in connection
with television),
- Payments for the use of, or the right to use, computer
software,
- Payments for the use of, or the right to use, any patent or
any information concerning industrial, commercial, or scientific
experience (but not within a rental or franchise agreement),
and
- Payments for broadcasting as agreed to in an exchange of
notes between the countries.
The limit or exemption does not apply if the right or property on
which the royalties are paid is effectively connected with the U.S.
resident's permanent establishment or fixed base in Canada.
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