ARTICLE
13 March 2024

The New Qualifying Disbursement Regime

CP
Carters Professional Corporation

Contributor

Carters provides proactive legal advice through an integrated practice that assists local, national, and international clients in better achieving goals and reducing unnecessary exposure to liability. The firm provides a wide range of legal services to charitable and not-for-profit organizations, as well as to individuals, corporations and businesses.

With over 24 years of experience, Carters leads the way in excellence through unparalleled legal representation, personal attention, and superior advocacy. Established in 2001, Carters provides knowledgeable representation in diverse practice areas for its clients, recognizing that every relationship is deeply valued and treated with dignity and respect.

Recognized as practice area leaders by Lexpert, Best Lawyers, and Chambers, Carters is a firm with experience and expertise that you can trust.

The new Qualifying Disbursement Regime has become a viable option for registered charities to consider when working with non-qualified donees in achieving...
Canada Corporate/Commercial Law

The new Qualifying Disbursement Regime has become a viable option for registered charities to consider when working with non-qualified donees in achieving their charitable purposes as a result of the release by Canada Revenue Agency ("CRA") on December 19, 2024 of its final version of guidance CG-032, Registered charities making grants to non-qualified donees ("Final Guidance"). The Final Guidance was summarized and commented on in Charity & NFP Law Bulletin No. 524.

In a presentation given at the Carters/Fasken Healthcare Philanthropy Webinar on February 13, 2024, Terrance Carter explains what the Qualifying Disbursement Regime consists of, some of the key aspects from the CRA Final Guidance, issues to consider when making qualifying disbursements, what is involved in reporting qualifying disbursements to the CRA, together with a table comparing the Qualifying Disbursement Regime to the pre-existing and continuing Own Activities Regime. Although the PowerPoint presentation was directed at healthcare charities, the comments in the presentation have general application to all registered charities. Please see the detailed PowerPoint presentation, hosted on the Carters website here.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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