2008-04-04 |
27 March 2008 External T.I. 2006-0200451E5 F - Syndicat de copropriétaires |
Income Tax Act - Section 149 - Subsection 149(1) - Paragraph 149(1)(l) |
distribution of land by Quebec condominium syndicate would cause it to lose its NPO status |
Income Tax Act - Section 248 - Subsection 248(1) - Corporation |
condominium syndicate described in CCQ Art. 1039 is a corporation |
Income Tax Act - Section 15 - Subsection 15(1) |
the co-owners of a Quebec syndicate were to be viewed as members of a corporation, so that s. 15(1) applied to a distribution to them |
26 March 2008 External T.I. 2007-0224771E5 F - Sommes reçues en échange de références de clients |
Income Tax Act - Section 3 - Paragraph 3(a) - Business Source/Reasonable Expectation of Profit |
one-off referral fees to clients are likely non-taxable |
Income Tax Regulations - Regulation 200 - Subsection 200(1) |
one-off referral fees to clients, if non-taxable, do not require T4As |
26 March 2008 Internal T.I. 2007-0260291I7 F - Biens de pêche admissibles |
Income Tax Act - 101-110 - Section 110.6 - Subsection 110.6(2.2) |
deduction not available for pre-2006 fishing licence gain carried forward to 2006 |
2008-03-21 |
12 March 2008 External T.I. 2007-0222751E5 F - Crédit d'impôt création emploi apprenti |
Income Tax Regulations - Regulation 7310 |
construction trades that are not directly regulated by the Quebec government also generally qualify as Red Seal trades |
13 March 2008 External T.I. 2008-0270151E5 F - Frais de location d'une automobile |
Income Tax Act - Section 6 - Subsection 6(2) - Element E |
lease costs include admin charges of the fleet management company |
2008-03-14 |
5 March 2008 External T.I. 2007-0256291E5 F - Bénévoles |
Income Tax Act - Section 6 - Subsection 6(1) - Paragraph 6(1)(a) |
volunteers working regular hours for a charity were not taxable when charity’s automobile made available to them to commute to work or receive a small allowance or meal or car expenses |
Income Tax Regulations - Regulation 200 - Subsection 200(1) |
requirement to report on T4A amounts paid to service provider greater than $500 inapplicable to charity volunteers who donate the amount back to the charity |
5 March 2008 External T.I. 2007-0231831E5 F - Roulement de biens |
Income Tax Act - Section 44 - Subsection 44(1) - Paragraph 44(1)(a) |
court-directed sale of co-owned property as a substitute for partition is not a “taking” by either co-owner of the other’s property |
Income Tax Act - Section 54 - Proceeds of Disposition - Paragraph (d) |
court-directed sale by partition court does not generate proceeds under para. (d) |
6 March 2008 External T.I. 2007-0253561E5 F - Placement admissible REÉR |
Income Tax Act - Section 262 |
London AIM not a designated exchange |
2008-03-07 |
27 February 2008 Internal T.I. 2008-0265901I7 F - Canadian-controlled private corporation |
Income Tax Act - Section 125 - Subsection 125(7) - Canadian-Controlled Private Corporation - Paragraph (b) |
terms of USA are ignored in applying the “purely arithmetic” test in para. (b) |
3 March 2008 External T.I. 2007-0226201E5 F - RS&DE - Formulaires et renseignements prescrits |
Income Tax Act - Section 37 - Subsection 37(11) |
failure of sub to file T661 performed on its behalf by parent would not preclude a s. 9 deduction by it or a claim of its parent for deductions or ITCs |