Michael Debay Lawyer

Michael Debay Lawyer

Office

  • Montréal

Phone number

514 877-2997

Bar Admission

  • Québec, 2024

Languages

  • English
  • French

Practice areas

Profile

Michael Debay is a member of the Business Law group, specializing in taxation. In this capacity, he acts in many files related to tax planning, corporate reorganization and advice on complex tax transactions.

Michael has a Bachelor of Laws from the Université de Sherbrooke, and a Master of Laws, Tax option, from the HEC Montréal business school.

Before joining our team, Michael worked as a tax lawyer at an internationally recognized audit and consultancy firm.

Education

  • Bachelor of Laws, Université de Sherbrooke, 2022 
  • Master of Laws, Taxation, Université de Montréal, 2024 

Boards and Professional Affiliations

  • Member of the Canadian Tax Foundation
  • Member of the Association de planification fiscale et financière (APFF)
  1. Generous Federal Investment Tax Credits for Clean Energy Projects

    In 2021, the federal government introduced a series of refundable investment tax credits (the “ITCs”) to accelerate the transition to a low-carbon economy, stimulate economic growth, and support innovation.  The Spring Economic Update 2026 confirms the growing importance of these measures. In particular, it announces that the Canada Revenue Agency (the “CRA”) will give increased priority to requests for advance rulings regarding eligible clean energy projects. In this regard, the CRA plans to increase its capacity to process these applications by more than 4.5 times by July 2026.  In this context, two measures are of particular note: the Clean Technology ITC and the Clean Electricity ITC.  1. The Clean Technology ITC The Clean Technology ITC generally applies to certain capital investments in equipment and systems that contribute to the production of clean energy, the improvement of energy efficiency, and the reduction of greenhouse gas emissions, provided that such assets are acquired and used in Canada in accordance with the applicable criteria.  This refundable credit can reach up to 30% of the capital cost of eligible property. It thus serves as a significant financial lever, helping to strengthen liquidity and improve project profitability, particularly during the early years.  In practice, the analysis required to apply for this credit focuses primarily on the following elements:  the entity’s eligibility (including its status as a taxable Canadian corporation);  the property’s qualification (eligible category, function, and use);  the timeline (dates of acquisition, installation, and commissioning);  the impact of labour requirements, which may influence the applicable rate;  interaction with other tax credits.  The application period covers property acquired and that becomes available for use between March 28, 2023, and December 31, 2034.  2. The Clean Electricity ITC  The Clean Electricity ITC is another measure that is gaining importance. It is of particular interest in structures where the investor (or certain investors) is tax-exempt or belongs to categories of entities for which several clean economy ITCs have historically been less accessible.  Indeed, this credit is designed to be accessible to a broader range of entities, including notably (according to the proposed definitions) certain eligible trusts, designated provincial or territorial Crown corporations, corporations principally owned by municipalities, as well as entities affiliated with Aboriginal governments.  At this stage, the government has published legislative proposals accompanied by explanatory notes, and the CRA has recently consolidated the relevant information on this subject on its website. Notably, it appears that:  the credit would provide a base rate of 15% of the capital cost of eligible clean electricity-related property;  eligibility would apply to property used primarily to generate, store, or transmit electricity, subject to technical and environmental criteria;  the rate could be reduced in the event of non-compliance with certain labour requirements;  the proposed application period would cover investments made from April 2024 and that becomes available for use on or before December 31, 2034.  3. Structuring: Corporation or Limited Partnership  Beyond the technical eligibility of the property, the legal structure chosen for a project will have a decisive impact on the ability to claim ITCs and pass on their economic value to investors.  In some cases, a taxable corporation is simpler to administer and more easily meets the eligibility criteria. Conversely, a limited partnership (“LP”), while useful for certain financing objectives, presents several disadvantages in the context of ITCs:  3.1 Constraints Related to Investors’ Tax Status  Certain tax credits—particularly the Clean Technology ITC, often considered one of the most advantageous—are naturally better suited for taxable investors. When an LP has non-taxable members, converting the tax benefit into economic value may be less optimal, depending on how the credit is allocated and used.  3.2 Allocation of Credits and Limits for Limited Partners  The rules governing credits within a partnership generally require that the allocation to each partner be reasonable, taking into account, in particular, their capital investment and contribution. Furthermore, for a limited partner, the share of the credit may be limited by “at-risk” rules, which cap certain tax benefits based on actual economic exposure. In practice, this can reduce the amount of credit available and limit allocation flexibility.  3.3 Increased Complexity of Monitoring and Compliance  An LP generally entails heavier administrative obligations: calculating at-risk amounts, tracking allocations, documenting contributions and distributions, and ensuring consistency between the partnership agreement, financing agreements, and tax positions. This complexity can become a significant issue in the event of a tax audit.  Conclusion  Federal ITCs represent a major financial incentive for clean energy projects. However, their application depends on technical, tax, and structuring criteria that must be rigorously analysed and documented.  Furthermore, the legislative framework governing these credits is constantly evolving (implementing regulations, administrative guidelines, and technical requirements), making a case-by-case analysis essential to confirm eligibility and optimize a project’s structure.  We invite you to contact our tax team. We would be happy to assist you in successfully bringing your project to completion.  Key Takeaways A Major Administrative Acceleration by July 2026  The CRA is making clean energy a priority: its capacity to process advance tax ruling requests will increase by more than 4.5 times by July 2026. For proponents, now is the time to act to secure early tax certainty.  Two Powerful Financial Levers with Distinct Criteria  Clean Technology: A major refundable credit of up to 30% of capital costs, primarily targeting taxable Canadian corporations.  Clean Electricity: A refundable credit of up to 15% of capital costs structured to include entities that were historically restricted, such as Crown corporations, municipalities, and Indigenous organizations. Legal Structuring Can Make or Break Your ITCs  Choosing the right legal vehicle is just as critical as technical asset eligibility. While popular for financing, LPs introduce significant complexity due to "at-risk" rules, the involvement of non-taxable partners, and a heavy compliance burden during tax audits.

    Read more
  1. Lavery is proud to have helped Quaze Technologies in its sale to Red Cat Holdings

    Lavery represented Quaze Technologies in its sale to Red Cat Holdings, a U.S.-based company specializing in advanced drones and robotics for the defense and national security sectors. About Quaze Technologies Founded in Quebec, Quaze Technologies develops wireless power transmission technology for autonomous systems, such as drones, ground robots, unmanned underwater vehicles and other robotic platforms. Quaze’s technology makes autonomous charging possible, without the need for physical contact, connectors or precise alignment, prolonging the operational autonomy of systems deployed in complex environments. About the transaction This transaction represents a significant step in Quaze’s growth. By joining Red Cat Holdings, Quaze will be able to fast-track the development of its technology and its integration into the international autonomous platform ecosystem, while continuing to advance its open model with third-party manufacturers. The transaction also comes at a time when energy autonomy is becoming a strategic issue for the future of robotic systems. Expertise at the service of growth Lavery acted as legal counsel to Quaze Technologies in this cross-border transaction, drawing on its expertise in mergers and acquisitions and business law, as well as its experience in advising tech companies on growth-oriented transactions. The Lavery team, led by Alexandre Hébert, included Luc Pariseau, Joseph Gualdieri, Jessy Menard and Michael Debay.

    Read more
  2. Lavery welcomes Michael Debay and Sarah Trublard as lawyers

    Lavery is pleased to announce the appointment of two new lawyers to its Montreal office: Michael Debay and Sarah Trublard. Michael Debay joins our Business Law group as a lawyer specializing in tax law. “What attracted me about Lavery was the special relationship we have with our clients and the expertise of the team’s professionals. As a tax lawyer, I am inspired by challenging mandates that promote innovation, collaboration, and the continuous development of my skills, all within a dynamic team.” Sarah Trublard joins our team as a lawyer and trademark agent.     "What immediately appealed to me about Lavery was the importance placed on human relationships, recognizing each person's potential, and collaboration, in an environment that aligns with my values. As a young lawyer, I am delighted to be joining a stimulating team that values professional development and personal fulfillment in equal measure." We warmly welcome Michael and Sarah to our teams!

    Read more