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Is the residence of a corporation, trust or partnership relevant to the TCP Definition?

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Is the residence of a corporation, trust or partnership relevant to the TCP Definition?

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No. The residence, place of incorporation or place of formation of a corporation, partnership or trust is not relevant to the TCP Definition. For example, shares of a non-Canadian corporation which satisfy these conditions will constitute TCP; however, certain treaties may apply to exempt gains on such shares from Canadian tax.

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