Contact Information: Freehold Royalties Ltd. Brian Brockman Manager, Tax and Financial Planning (403) 221-0856 or Toll Free: 1-888-257-1873 bbrockman@rife.com www.freeholdroyalties.com
2010 Income Tax Information for Freehold Royalty Trust
| Source: Freehold Royalties Ltd
CALGARY, ALBERTA--(Marketwire - Feb. 15, 2011) -
Freehold Royalties Ltd. (TSX:FRU) announces the 2010 Income Tax Information for Freehold Royalty Trust ("Freehold" or the "Trust").
The information contained herein is based on Freehold Royalties Ltd.'s understanding of the Income Tax Act (Canada) and the regulations thereunder. Unitholders should consult their own tax advisors with respect to their particular circumstances.
CANADIAN TAX INFORMATION
FOR UNITHOLDERS RESIDENT IN CANADA
The following information is intended to assist individual Canadian Unitholders of Freehold in the preparation of their 2010 T1 Income Tax Return. This summary is directed to a Unitholder who, for the purposes of the Income Tax Act (Canada) is a resident of Canada and held the Trust Units as capital property.
2010 Taxability Information
A total of $1.68 per Trust Unit was paid or payable to Unitholders in respect of 2010.
For purposes of the Income Tax Act (Canada), Freehold was treated as a mutual fund trust. Each year, Freehold filed a T3 income tax return with the taxable income allocated to and made taxable in the hands of Unitholders. This taxable income is allocated, on T3 supplementary forms, to each Unitholder who was entitled to distributions for the year. The following table outlines the breakdown of cash distributions per Trust Unit paid or payable in respect of 2010.
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CANADIAN TAX INFORMATION 2010
Taxable Amount Box 42 Total
Box 26 Return of Distribution
Other Income Capital Paid/Payable
Record Date Payment Date (Cdn$ per Unit)(Cdn$ per Unit)(Cdn$ per Unit)
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January 31, 2010 February 15, $0.10258 $0.03742 $0.1400
2010
February 28, $0.10258 $0.03742 $0.1400
2010 March 15, 2010
March 31, 2010 April 15, 2010 $0.10258 $0.03742 $0.1400
April 30, 2010 May 15, 2010 $0.10258 $0.03742 $0.1400
May 31, 2010 June 15, 2010 $0.10258 $0.03742 $0.1400
June 30, 2010 July 15, 2010 $0.10258 $0.03742 $0.1400
July 31, 2010 August 15, 2010 $0.10258 $0.03742 $0.1400
August 31, 2010 September 15, $0.10258 $0.03742 $0.1400
2010
September 30, October 15, $0.10258 $0.03742 $0.1400
2010 2010
October 31, 2010 November 15, $0.10258 $0.03742 $0.1400
2010
November 30, December 15, $0.10258 $0.03742 $0.1400
2010 2010
December 31, January 17, $0.10258 $0.03742 $0.1400
2010 2011
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Total paid/payable for the 2010 $1.23091 $0.44909 $1.6800
tax year
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Trust Units held within Registered Plans
Freehold Trust Units are qualified investments for registered plans, including Registered Retirement Savings Plans (RRSP), Registered Retirement Income Funds (RRIF), Deferred Profit Sharing Plans (DPSP), Registered Educational Savings Plans (RESP) and Tax Free Savings Accounts (TFSA). Trust Units held inside such registered plans are completely tax-sheltered and no amounts are required to be reported on the 2010 T1 Income Tax Return.
Trust Units held out side of Registered Plans
For Canadian residents who hold Trust Units outside of a registered plan, 73% of the distributions are taxable as income. The remaining 27% of distributions are classified as a return of capital.
The deadline for mailing all T3 Supplementary information slips as required by Canada Revenue Agency is March 31, 2011.
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-- Registered Unitholders who were entitled to distributions for 2010 and
received payment from the Transfer Agent, Computershare Trust Company of
Canada (and not from a brokerage firm or other intermediary) will
receive a T3 Supplementary slip directly from Computershare.
-- Non-Registered Unitholders who were entitled to distributions for 2010
and received payment or credit from a brokerage firm or other
intermediary will receive a T3 Supplementary slip directly from that
brokerage firm or other intermediary and not from the Transfer Agent or
Freehold.
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Adjusted Cost Base Calculation
Unitholders are required to reduce the adjusted cost base (ACB) of their Trust Units by the amount equal to any distributions received in the form of return of capital. Unitholders should maintain a record of all distributions that are classified as partially or entirely a return of capital distribution while holding Freehold Trust Units.
For Freehold investors in the $10.00 per Trust Unit initial public offering in November 1996, the ACB of Trust Units still held as at December 31, 2010 is $2.3113 per Trust Unit, taking into account the cumulative return of capital of $7.6889 as provided in the following table:
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HISTORICAL TAX INFORMATION
Distribution
Taxable Amount Return Return for
Other Income of Capital Taxable of Capital Tax Purposes
Year (Cdn$ per Unit) (Cdn$ per Unit) Percentage Percentage Per Unit
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2010 $ 1.2309 $0.4491 73% 27% $ 1.68
2009 1.1498 0.2502 82% 18% 1.40
2008 2.7795 0.1305 96% 4% 2.91
2007 1.7426 0.1774 91% 9% 1.92
2006 1.8900 0.2100 90% 10% 2.10
2005 2.0400 - 100% 0% 2.04
2004 1.1628 0.5472 68% 32% 1.71
2003 1.1730 0.5270 69% 31% 1.70
2002 0.7598 0.5502 58% 42% 1.31
2001 0.5928 0.9672 38% 62% 1.56
2000 - 1.2900 0% 100% 1.29
1999 - 0.7600 0% 100% 0.76
1998 - 0.8500 0% 100% 0.85
1997 - 0.9800 0% 100% 0.98
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TOTAL $14.5213 $7.6887 $22.21
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CANADIAN TAX INFORMATION
FOR NON-RESIDENT UNITHOLDERS
The following information is provided for general information only. Unitholders who are not residents of Canada for income tax purposes are encouraged to seek advice from a qualified tax advisor in their country of residence regarding the tax treatment of distributions.
NR4 Summary and Slips
For the purposes of preparing Form NR4, Statement of Amounts Paid or Credited to Non-Residents of Canada, 2010 distributions are 73% taxable for Canadian purposes and this amount is included in the gross income reported in Box 16 of the NR4 slip. The full amount of the tax withheld is reported in Box 17 of the NR4 slip.
Non-Resident Withholding Tax
Distributions paid or payable to non-residents of Canada are subject, on the date of payment, to a withholding tax of 25%, as prescribed by the Income Tax Act (Canada). This withholding tax may be reduced in accordance with reciprocal tax treaties. In the case of the Tax Treaty between Canada and the U.S., the withholding tax for U.S. residents is prescribed at 15%.
The amount of Canadian tax withheld should be reported on Form 1116, Foreign Tax Credit (individual, Estate, or Trust). Information regarding the amount of Canadian tax withheld in 2010 should be determined from your own records and is not available from Freehold. Amounts over withheld, if any, from Canada should be claimed as a refund from the Canada Revenue Agency no later than two years after the calendar year in which the payment was paid.
CANADIAN TAX INFORMATION
FOR UNITHOLDERS RESIDENT IN THE U.S.
Based on the nature of our assets, our distributions are not "qualified dividends" for U.S. tax purposes. Freehold prepares an earnings and profit calculation to determine taxability for U.S. Unitholders. Please refer to Freehold's 2010 Income Tax Information for U.S. Investors and the Annual PFIC (Passive Foreign Investment Company) Statement. This information will be posted on Freehold's website at www.freeholdroyalties.com or can be obtained by contacting Freehold's Investor Relations department.
Canada Revenue Agency (CRA) Account Number: T16-5701-42
CUSIP Number: 355904103
Company ProfileFreehold Royalties Ltd
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