For Canadian shareholders of Automatic Data Processing, Inc. (“ADP”) who received shares of Broadridge Financial Solutions, Inc. (“Broadridge”) in the spin-off of Broadridge that occurred on March 30, 2007, ADP received notice from the Canada Revenue Agency on June 25, 2007 that the spin-off distribution meets the requirements for the favorable tax treatment provided for in section 86.1 of the Income Tax Act (Canada). Canadian shareholders therefore are entitled to make the election specified under section 86.1 in respect of the distribution. The CRA has published on its website the fact that the Broadridge spin-off has been approved for purposes of section 86.1 of the Income Tax Act (see http://www.cra-arc.gc.ca/tax/business/topics/spinoffs-e.html). Canadian shareholders are urged to consult their own tax advisors in regard to the CRA approval and the election.