DT4630.27 - Canada: double taxation agreement, Article 27: Miscellaneous rules
(1) The provisions of this Convention shall not be construed
to restrict in any manner any exclusion, exemption, deduction,
credit or other allowance now or hereafter accorded by the laws of
a Contracting State in the determination of the tax imposed by that
Contracting State.
(2) Where under any provision of this Convention any person
is relieved from tax in a Contracting state on certain income and,
under the law in force in the other Contracting State, that person
is subject to tax in that other State in respect of that income by
reference to the amount thereof which is remitted to or received in
that other State, the relief from tax to be allowed under this
Convention in the first-mentioned State shall apply only to the
amounts so remitted or received.
(3) Nothing in this Convention shall be construed as
preventing Canada from imposing a tax on amounts included in the
income of a resident of Canada by virtue of the provisions of
section 91 of the Canadian Income Tax Act, so far as they are in
force on the date of entry into force of this Convention, or have
been modified only in minor respects, so as not to affect their
general character.
(4) The aggregate of the amount of value of the dividend and
the amount of the tax credit referred to in paragraph 3(b) or 3(c)
of Article 10 of this Convention shall be treated as a dividend for
Canadian income tax purposes.
(5) Each of the Contracting States will endeavour to collect
on behalf of the other Contracting State such amounts as may be
necessary to ensure that relief granted by this Convention from
taxation imposed by that other State does not enure to the benefit
of persons not entitled thereto. However, nothing in this paragraph
shall be construed as imposing on either of the Contracting States
the obligation to carry out administrative measures of a different
nature from those used in the collection of its own tax or which
would be contrary to public policy.
(6) The competent authorities of the Contracting States may
communicate with each other directly for the purpose of applying
this Convention.
