The United States could soon adopt a tax bill with major implications for Canada, potentially raising tax rates for Canadian corporations operating in the United States and removing statutory tax exemptions as punishment for Ottawa’s controversial Digital Services Tax.
The bill is now before the Senate, but opposition from Democratic senators and some Republican ones could potentially hold up its passage.
The legislation sets aside over US$200 billion for defence and border security, cuts back on health care and food programs, and reduces federal spending by $1.5 trillion. But the bill also has implications for Canadians.
If Canada is deemed to be a country imposing “unfair foreign taxes,” then the proposals in the U.S. bill could also impact the tax-exempt status currently enjoyed by Canadian pension funds and other Canadian entities that own U.S. assets.
Key Proposals in the Bill
The “One, Big, Beautiful Bill” states in section 899 that countries with “unfair foreign taxes” will see their companies and individual investors who receive income from U.S. assets face increasingly higher U.S. withholding tax rates. The rate would be increased by 5 percentage points each year until it reaches 50 percent—capped at 20 percentage points above the statutory rate of 30 percent.The bill would override existing tax treaties with Canada under which a reduced rate or exemption might normally apply. And the higher tax rate would remain until the country removes its foreign tax that the United States had deemed “unfair.”
Additionally, the bill states that foreign governments would lose their statutory tax exemption, meaning institutions like the Canada Pension Plan (CPP) Investment Board and other pension plans could be required to pay taxes to the United States.
Trump has heavily pushed for the bill to be passed, even threatening to support primary challenges against the few Republicans who voted against it due to concerns about government spending. The legislation will need to be passed by the Senate and then receive presidential approval to become law.
Canada’s Digital Services Tax
The DST is a 3 percent levy aimed at revenue earned by foreign companies that is “reliant on the engagement, data and content contributions of Canadian users, as well as on certain sales or licensing of Canadian user data.” Many of these foreign companies are based in the United States.While the Canadian government had agreed to a two-year deferral period in 2021 to implement that tax, it said in late 2023 that it would not go along with the delay. Ottawa argued that by delaying implementation of the measure by another year, Canada would be put at a disadvantage compared to countries that had already been collecting revenue under their pre-existing DSTs.
The United States has taken issue with Canada’s refusal to delay the tax, as it wanted a unified approach for a minimum tax level to be established. Cohen, the former U.S. Ambassador to Canada, said the United States did not want a “country-by-country” approach where American companies were disproportionately impacted.
The letter also questioned whether the tax would constitute a violation of Canada’s obligations under the U.S.-Mexico-Canada Agreement or its commitments to World Trade Organization treaties. Further, it said the vast majority of OECD countries had agreed to extend their own timeline to the end of 2024.
What Will Canada Do?
Representatives from the Liberal government have not previously signalled a willingness to back down on this issue. When asked about the timing of the DST back in November 2023, then-Finance Minister Chrystia Freeland said Ottawa’s position was “unchanged” and that there was a “real fairness issue” since countries like the United Kingdom and France already had similar taxes in place.Freeland later said in July 2024 that the government’s preference was still a “multilateral solution.”
The firm said the bill would increase the corporate income tax and branch profits tax paid by Canadians by 5 percent per year, leading the maximum corporate tax rate to hit 41 percent plus a branch profits tax of 50 percent. Meanwhile, individuals would see a maximum federal tax rate of 57 percent.
Polaris said the legislation would also cause Canadian government entities like the CPP, government-sponsored pension plans, and First Nations to lose access to their U.S. tax exemption. The firm said these changes would lead all cross-border planning to be “turned on its head.”
Canada’s DST is likely to play into future trade negotiations with the United States as the two countries and Mexico prepare to renegotiate the U.S.-Mexico-Canada Agreement in 2026.







