I think what we're looking for is that the trust itself should be the primary debtor for the tax, not the spouse's estate.
On November 17th, 2014. See this statement in context.
On November 17th, 2014. See this statement in context.
November 17th, 2014 / 4:25 p.m.
National Tax Partner, BDO Canada LLP, and Member, Tax Policy Committee, Chartered Professional Accountants of Canada
I think what we're looking for is that the trust itself should be the primary debtor for the tax, not the spouse's estate.
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