Based upon my understanding, they're roughly the same. I think the private company shared exemption would probably result in a larger proportion of incremental giving than the real estate section. In the case of real estate, there is that capital cost allowance recapture when the individual either donates the property or sells the property and donates the cash. With the private company shares, I guess that would be a large proportion of the two.
On February 7th, 2012. See this statement in context.