“specified debtor” at any time, in respect of a taxpayer resident in Canada, means(a) the taxpayer;
(b) a person with which the taxpayer does not, at that time, deal at arm’s length, other than a corporation not resident in Canada that is, at that time, a controlled foreign affiliate, within the meaning of section 127.1, of the taxpayer;
(c) a partnership a member of which is, at that time, a person or partnership that is a specified debtor in respect of the taxpayer because of paragraph a or b; and
(d) if the taxpayer is a partnership,i. any member of the partnership that is a corporation resident in Canada if the creditor affiliate or a member of the creditor partnership, as the case may be, within the meaning assigned to those expressions in section 577.5, is, at that time, a foreign affiliate of the corporation,
ii. a person with which a corporation referred to in subparagraph i does not, at that time, deal at arm’s length, other than a controlled foreign affiliate, within the meaning of section 127.1, of the partnership or of a member of the partnership that holds, directly or indirectly, an interest in the partnership representing at least 90% of the fair market value of all such interests, or
iii. a partnership a member of which is, at that time, a specified debtor in respect of the taxpayer because of subparagraph i or ii;