U.S. Form 1042-S Reporting- 2008 Extendicare REIT DistributionsNon-U.S. residents will receive a U.S. Form 1042-S with respect to the 2008 distributions. A portion of the same 2008 distributions reported on either a Canadian Form T3 or T5013, included U.S. source interest income, which may have been subjected to 30% U.S. withholding tax if you failed to submit a valid form W-8 BEN to your broker/administrator. If you did not submit a valid W-8 BEN form, the U.S. tax withheld will be reported on the U.S. Form 1042-S. The amount of gross income reported in Box 2 of the U.S. Form 1042-S does not represent additional cash distributions paid during the year. It represents the portion of the distributions which are subject to U.S. withholding, and does not need to be reported in the Canadian income tax returns filed by Canadian residents as additional income for tax purposes.NR4 Reporting - 2008 Extendicare REIT Distributions for Non-Canadian ResidentsThe income distribution component of the 2008 distributions paid by Extendicare REIT of $0.33023 had two components for purposes of NR4 reporting. One component is an actual dividend flow-through and designated to residents of Canada as a dividend. But for non-residents, it is treated as "trust income" - code 11 on the NR4. The other component is comprised of non-portfolio earnings subject to SIFT tax, the after-tax amount of which is deemed a dividend for both residents and non-residents of Canada - i.e. code 09 on the NR4. The remaining tax deferred return of capital portion is not reported on the NR4. NR4 2008 Dividend income (code 09) - $0.08860 Trust income (code 11) - $0.241632007 Distributions for Canadian Residents OnlyApproximately 70% of the distributions paid in 2007 by Extendicare REIT and Extendicare Limited Partnership were characterized as tax deferred returns of capital. For holders of REIT Units, the 2007 tax components of the distributions were: "eligible" dividend of $0.33301 per unit and return of capital of $0.77699 per unit. For holders of Exchangeable LP Units, the 2007 tax components of the distributions were: interest of $0.20384 per unit; "eligible" dividend of $0.12916 per unit; and return of capital of $0.84747 per unit.Details of the monthly components are provided in the T3 and T5013 forms as submitted to CDS, below.
Extendicare REIT 2006 Distributions and Designations for Canadian Income Tax Purposes
$0.1850
$0.02910
$0.02068
$0.13522
100%
15.73%
11.18%
73.09%
Extendicare Limited Partnership, Class B Exchangeable LP Units2006 Distributions and Designations for Canadian Income Tax Purposes
*For tax purposes the Return of Capital portion of the distribution from Extendicare Limited Partnership will be taxed in the hands of the unitholder in 2007, rather than in 2006, because it was received in 2007.
Classification of Extendicare REIT for U.S. Federal Income Tax PurposesExtendicare REIT elected to be treated as a partnership for U.S. federal income tax purposes. An entity treated as a partnership for U.S. federal income tax purposes is not a taxable entity and incurs no U.S. federal income tax liability. However, as a “publicly traded partnership”, Extendicare REIT will be treated as a non-taxable entity only if at least 90% of its gross income for every taxable year consists of “qualifying income” and Extendicare REIT (if it were a domestic corporation) would not be required to register under the U.S. Investment Company Act. Qualifying income includes certain interest income, dividends, real property rents, gains from the sale or other disposition of real property and any gain from the sale or disposition of a capital asset or other property held for the production of income that otherwise constitutes qualifying income. Extendicare REIT intends to manage its affairs so that it will have sufficient qualifying income in each year and thus expects to be treated as a non-taxable partnership for U.S. federal income tax purposes.Management will from time to time reassess the benefits of Extendicare REIT’s status for U.S. tax purposes. As such, there can be no assurance that Extendicare REIT will maintain its partnership status for U.S. tax purposes.Distributions – U.S. Tax Information The following information is intended to assist unitholders of Extendicare REIT and Exchangeable LP units in the preparation of their income tax returns and does not constitute legal or tax advice. Unitholders are advised to consult with a tax advisor as residency and other circumstances may vary. Extendicare REIT is not required to, and does not, calculate its “earnings and profits” pursuant to the United States Internal Revenue Code of 1986, as amended (the “Code”), and therefore no portion of its distributions represent qualified dividend income, or a tax deferred return of capital, for U.S. tax purposes.2008 Change to Composition of Distributions for U.S. Tax Purposes and Related U.S. Tax Withholding On April 18, 2008, Extendicare announced a change impacting all unitholders to the taxation of certain distributions for U.S. tax purposes beginning with the May 2008 distribution. This announcement is relevant for (i) how certain income will be taxed for U.S. tax purposes to U.S. persons who hold units of Extendicare REIT and/or Extendicare Limited Partnership (“U.S. Holders”) and (ii) U.S. withholding tax issues for non-U.S. persons who hold units of Extendicare REIT and/or Extendicare Limited Partnership (“Non-U.S. Holders”). The change to the composition of distributions does not affect Canadian taxation of distributions, including the Canadian tax withholding obligations of Extendicare in respect of distributions to non-Canadian holders of Units. The change to the composition of distributions arises from the financing structure implemented for the 2007 acquisition of Tendercare. Interest payments to be made semi-annually in May and November by a wholly owned U.S. subsidiary of Extendicare REIT will be treated as U.S. source interest income of Extendicare REIT and Extendicare Limited Partnership, and consequently of the unitholders for a portion of distributions in respect of those months, for U.S. tax purposes. The actual amount of U.S. source interest income pertaining to distributions to be declared in May and November will be disclosed in the distribution press releases for those months, and are indicated in the table below.
U.S. Source Interest in May and November Distributions
U.S. Source Interest