130R11.1. For the purposes of the definition of “accelerated investment incentive property” in the first paragraph of section 130R3, if, in the absence of this section, a taxpayer would be deemed to be dealing at arm’s length with another person or partnership as a result of a transaction or series of transactions the principal purpose of which may reasonably be considered to have been to cause one or more properties of the taxpayer to qualify as accelerated investment incentive property, the taxpayer is deemed not to be dealing at arm’s length with the other person or partnership in respect of the acquisition of those properties.
164-2021O.C. 164-2021, s. 411.