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Technical Interpretation - External summary
8 March 1994 External T.I. 9334005 - GAINS AND LOSSES ON STOCK INDEX FUTURES -- summary under Options
The correspondent: noted that the "acquisition" or "sale of stock index futures is similar in nature to a transaction in "naked options" in that no property is actually purchased or sold and, further, that paragraph 25 of … IT-479R states that, while transactions in "naked options" are normally on income account, the Department will accept the reporting of gains or losses on capital account provided this practice is followed consistently from year to year. ...
Technical Interpretation - External summary
30 May 2005 External T.I. 2005-0127861E5 - Securities transactions - capital gain or income -- summary under Options
CRA stated: [A]s indicated in … IT-479R …[t]he CRA generally presumes that: (a) the gain or loss realized by a holder of options is on the same account as the holder's transactions in shares; (b) the gain or loss realized by a writer of covered options is on the same account as the underlying shares; and (c) the gain or loss realized by a writer of naked options is normally on income account. ...
Technical Interpretation - External summary
17 January 2000 External T.I. 9932865 F - ACTION APPROUVÉE - FONDS DE TRAVAILLEURS -- summary under Paragraph (b)
The Agency stated: [N]o share acquired from that corporation will come within paragraph (b) … as long as the Taxation Act (Quebec) grants a tax credit to any taxpayer for the acquisition of shares of that corporation. ...
Technical Interpretation - External summary
6 April 2017 External T.I. 2016-0658841E5 F - Purpose tests and Allocation of safe income -- summary under Paragraph 55(2.1)(c)
On December 31, 2016, Opco had accumulated $100,000 in after-tax profits and safe income, As there were 200 outstanding AA and X shares, the X class shares had a redemption value on January 1, 2017 of $50,100 (($100,000 x 100/200) + $100 of PUC) On January 1, 2017, Opco paid a dividend of $50,000 to Holdco. ... After noting the Robertson rule that “income will be attributable to a particular class of shares in the same ratio in which each class would be entitled if all earnings of the corporation, but not share capital, were to be distributed,” CRA stated: [G]iven that…the Class X and AA shares were entitled to an equal share of Opco’s profits following the issuance of the Class X shares and that the value of the shares of each class would increase due to this share of profits, … the safe income earned or realized annually following the issuance of the Class X Shares could be proportionately allocated based on the number of shares of each class. ...
Technical Interpretation - External summary
27 June 2008 External T.I. 2007-0247551E5 - FAPI and Part XIII Tax -- summary under Paragraph (b)
However, after taking into account [Reg.] 5900(3) …, since in computing the income of CFA1 and CFA2 FP is treated as if it were a separate person resident in Canada, subsection 91(5) of the Act would apply to permit a deduction by FP of the Foreign Dividends received by FP with the result that, with respect to such Foreign Dividends, there is no net income from property that would be included in the value of "A" in the definition of FAPI with respect to CFA1 and CFA2. ...
Technical Interpretation - External summary
29 June 2009 External T.I. 2008-0296371E5 F - Capital dividends -- summary under Subsection 83(2.1)
In the context of there having been an amalgamation, s. 87(2)(z.1) provided that if a capital dividend were paid by a predecessor corporation and a portion thereof would be deemed to be a taxable dividend by s. 83(2.1), the CDA of the predecessor corporation is not transferred to the amalgamated corporation – so that it would thus be necessary to determine whether all or substantially all of Corporation A's CDA, immediately before the payment of such a dividend, could reasonably be considered to consist of amounts not described in paras. ...
Technical Interpretation - External summary
29 July 2009 External T.I. 2008-0297011E5 F - Conversion de participations dans une SNC -- summary under Subsection 97(2)
. … It should be noted that the totality of the interests of a partner held in a partnership constitute a single property of the partner and represent its interest in the partnership for purposes of the Act. ...
Technical Interpretation - External summary
3 December 1992 T.I. 921655 (C.T.O. "Factoring Accounts Receivable Whether Sale or Loan"; Tax Window, No. 26, p. 5, ¶2315) -- summary under Subparagraph 212(1)(b)(i)
. … Similarity the fact that the Canadian company continues to collect the accounts receivable without notifying the various debtors would tend to indicate that a transfer of title has not actually taken place. ...
Technical Interpretation - External summary
3 June 2013 External T.I. 2013-0486911E5 F - Frais de déménagement- réinstallations multiples -- summary under Paragraph 62(3)(f)
. …. [N]otary fees are fees for legal services for the purposes of paragraph 62(3)(f). ...
Technical Interpretation - External summary
8 October 2013 External T.I. 2011-0428931E5 F - Assurance-invalidité -- summary under Income-Producing Purpose
. … [T]his policy was not acquired with a view to earning income from the business. ...