TD Capital Trust (the "Trust")
The information in this section is a summary only and is qualified in its entirety by and should be read in conjunction with the more detailed information appearing in the prospectus or similar document related to the security.
(For information filed with Canadian Securities Administrators go to the Sedar Website)
On December 31, 2009, TD Capital Trust redeemed the outstanding 900,000 Capital Trust Securities – Series 2009 ("TD CaTS").
TD CaTS were de-listed from The Toronto Stock Exchange on December 31, 2009
87807M AA 1
CIBC Mellon Trust Company
1-800-387-0825(or in Toronto (416) 643-5500)
Each TD CaTS represented an undivided beneficial ownership interest in the assets of the Trust.
Holders of TD CaTS were entitled to receive a non-cumulative semi-annual distribution of C$38.00 per TD CaTS on June 30 and December 31 in each year.
The Trust may, with regulatory approval, at its option redeem the TD CaTS in whole (but not in part) for a cash amount equal to: on or after December 31, 2009, C$1,000, in each case plus any unpaid distributions on the TD CaTS to the date of redemption.
This summary is subject to the limitation and qualifications set out under the heading “Canadian Federal Income Tax Considerations” in the prospectus and applies only to a holder of TD CaTS resident in Canada who purchases the TD CaTS at the time of their issuance and holds the TD CaTS as capital property. This summary only discusses the Canadian federal income tax treatment of distributions payable on the TD CaTS and prospective purchasers should refer to the prospectus for a discussion of certain other federal income tax consequences relevant to holders of TD CaTS, including consequences relating to a disposition of the TD CaTS (including on a termination of the Trust, a redemption of TD CaTS by the Trust or an exchange of TD CaTS for Preferred Shares, Series A1) and the holding of Preferred Shares, Series A1 and Common Shares.
A holder of TD CaTS will be required to include in computing its income for a taxation year all net income and net realized capital gains, if any, payable to the holder in such taxation year. Substantially all of the amounts payable to holders of TD CaTS are expected to be treated as income from a trust, rather than capital gains, for income tax purposes.
This summary is of a general nature only and is not, and is not intended to be, and should not be construed to be, legal or tax advice to any particular holder and no representation with respect to the income tax consequences to any particular holder is made. Prospective purchasers of TD CaTS should consult their own tax advisors with respect to the tax consequences of acquiring, holding and disposing of TD CaTS having regard to their own particular circumstances.
Information as of February 08, 2010.