Vancouver Calgary Winnipeg Toronto Montreal St John St

This is a multi-part message in MIME format.
---------------------- multipart/alternative attachment
 Wayne writes to remind me that I forgot to mention the $100,000
reporting rule.  If this questioner has more than $100,000
invested out of the country - for instance, he might have a
$40,000 rental trailer in Scottsdale, Arizona and $65,000 in the
Securities account, he has to report it on the top of page two of
the tax return and file a T1135 with the Canadian authorities.
Hi David,
I believe there is also an issue if you hold more than $100,000
in an account outside the country, is there not?
Regards
Wayne
On Saturday, August 16, 2003, at 08:05 AM,
[email protected] wrote:
  Hi David,
  I live in Canada but I have an account with a U.S. online stock
broker.  I buy and sell stocks through this U.S. account.  I went
with a U.S. broker because the commissions are one third of any
Canadian brokerages.  What are the consequences of a Canadian
trading stocks using a U.S. brokerage as opposed to a Canadian
brokerage.  Are there additional steps I need to take in terms of
reporting capital gains and losses?
  Thanks,
  N XXXXXX
  ==============================
  david ingram replies.
  If you have used a US address, your broker will not be
withholding US taxes of 15% on dividends.
  If your broker is not withholding the tax, you need to file a
1040NR and report your dividends to the US and pay 15% tax in
accordance with Article X of the US / Canada Income Tax
Convention (1980).
  If your broker is withholding, you will receive a 1042S
reporting form showing the 15% tax.
  In either case, you have to report the US figures on your
Canadian tax return.  In the first case, you would attach a copy
of the 1040NR showing the 15% paid to your Canadian Tax return.
In the second case, you would attach copy of the 1042S.
  In spite of the fact that Article XI of the Convention states
that Canadians should pay the US 10% taxon interest,
Non-residents of the US do not usually pay any tax on interest to
the US if the interest is not connected with a trade or business
but is simply paid on deposits.
  So, convert the US dollars to
  Canadian and report the US interest on schedule 4 of your
Canadian return.  If, by some fluke, you did have 10% tax
deducted, claim the tax on your Schedule 1 and your Provincial
Schedule (BC428)
  The US does not tax non-residents and non-citizens on any stock
profits.  No tax return is required for any capital gains.  Just
convert to Canadian Dollars and file as part of Canadian Schedule
3.
  .
  david ingram - [email protected]
  108-100 Park Royal South
  West Vancouver, BC, CANADA, V7T 1A2
  (604) 913-9133 - (604) 913-9123 www.centa.com
  Cell is (604) 657-8451 (10 AM to 10 PM seven days a week)
  US/Canada Real Estate Taxation Specialists
  US / CANADA / MEXICO
  Working Visa and Income Tax Specialists
  Disclaimer:  This question has been answered without detailed
information or consultation and is to be regarded only as general
comment.   Nothing in this message is or should be construed as
advice in any particular circumstances. No contract exists
between the reader and the author and any and all non-contractual
duties are expressly denied. All readers should obtain formal
advice from a competent and appropriately qualified legal
practitioner or tax specialist in connection with personal or
business affairs such as at www.centa.com. If you forward this
message, this disclaimer must be included."
  Be ALERT,  the world needs more "lerts"
---
Outgoing mail is certified Virus Free.
Checked by AVG anti-virus system (http://www.grisoft.com).
Version: 6.0.509 / Virus Database: 306 - Release Date: 8/12/03
---------------------- multipart/alternative attachment
An HTML attachment was scrubbed...
URL: http://www.centa.com/CEN-TAPEDE/centapede/attachments/53d69eae/attachment.htm
---------------------- multipart/alternative attachment--

Trackback

Trackback URL for this entry: http://www.centa.com/trackback.php/UsCa2003August000211.html

No trackback comments for this entry.

0 comments