Search - 制暴无限杀机 下载
Results 231 - 240 of 7997 for 制暴无限杀机 下载
TCC (summary)
Black v. The Queen, 2019 TCC 135 -- summary under Payment & Receipt
The Queen, 2019 TCC 135-- summary under Payment & Receipt Summary Under Tax Topics- General Concepts- Payment & Receipt advance on another party’s behalf established a loan The taxpayer (“Black”) controlled both Hollinger Inc. ...
EC summary
Moody v. MNR, 57 DTC 1050, [1957] CTC 110 (Ex Ct) -- summary under Payment & Receipt
MNR, 57 DTC 1050, [1957] CTC 110 (Ex Ct)-- summary under Payment & Receipt Summary Under Tax Topics- General Concepts- Payment & Receipt cheque generally payment when received In finding that cheques that a cash-basis farmer had on hand at the beginning of the year were income in the previous year when they had been received, rather than in the current year, Thurlow J stated (at p. 1054): In the absence of some special circumstance indicating a contrary conclusion such as, for example, post-dating or an arrangement that the cheque is not to be used for a specified time, a payment made by cheque, although conditional in some respects, is nevertheless presumably made when the cheque is delivered and, in the absence of such special circumstances, there is, in my opinion, np ground for treating such a payment other than as a payment of cash made at the time the cheque was received by the payee. ...
Technical Interpretation - External summary
25 July 2019 External T.I. 2018-0787011E5 - Spousal support - legal expenses & lump-sum awards -- summary under Legal and other Professional Fees
This would be the case as long as the support claim is bona fide and … with a reasonable chance of success, and even if the claim for support is unsuccessful …. Conversely, where an individual starts a support claim for the purpose of collecting a lump-sum payment that does not qualify as a support amount …, the individual is not entitled to deduct legal and accounting fees incurred for that purpose. Assuming that the support claim … was started to establish or collect support amounts … no adjustments to the individual’s prior years’ tax returns would be warranted to exclude the legal expenses previously deducted in computing the individual’s income. ...
Technical Interpretation - Internal summary
18 November 2004 Internal T.I. 2004-0083251I7 - Management Fees -- summary under Rectification & Rescission
18 November 2004 Internal T.I. 2004-0083251I7- Management Fees-- summary under Rectification & Rescission Summary Under Tax Topics- General Concepts- Rectification & Rescission General discussion of the distinction between rectification of mistakes and retroactive tax planning. ...
SCC (summary)
Canada (Attorney General) v. Fairmont Hotels Inc., 2016 SCC 56, [2016] 2 SCR 720 -- summary under Rectification & Rescission
., 2016 SCC 56, [2016] 2 S.C.R. 720-- summary under Rectification & Rescission Summary Under Tax Topics- General Concepts- Rectification & Rescission rectification not available to correct planning errors With a goal of ensuring foreign exchange tax neutrality, Fairmont Hotels Inc. ... In finding that this rectification order should not have been given, Brown J stated (at paras 12, 19, 32 and 24): [R]ectification allows a court to achieve correspondence between the parties’ agreement and the substance of a legal instrument intended to record that agreement, when there is a discrepancy between the two. … The parties’ mistake in Juliar, however, was not in the recording of their intended agreement to transfer shares for a promissory note, but in selecting that mechanism instead of a shares-for-shares transfer. By granting the sought-after change of mechanism, the Court of Appeal in Juliar purported to “rectify” not merely the instrument recording the parties’ antecedent agreement, but that agreement itself where it failed to achieve the desired result or produced an unanticipated adverse consequence — that is, where it was the product of an error in judgment. … [T]he party seeking rectification must identify terms which were omitted or recorded incorrectly and which, correctly recorded, are sufficiently precise to constitute the terms of an enforceable agreement. ...
Technical Interpretation - Internal summary
28 July 1992 Memorandum 921859 (April 1993 Access Letter, p. 151, ¶C180-136) -- summary under Payment & Receipt
28 July 1992 Memorandum 921859 (April 1993 Access Letter, p. 151, ¶C180-136)-- summary under Payment & Receipt Summary Under Tax Topics- General Concepts- Payment & Receipt A taxpayer is not considered to have "paid" interest on a loan owing by him to a charitable foundation by virtue only of journal entries being recorded in his ledgers and those of the foundation. ...
Technical Interpretation - External summary
15 June 1992 T.I. 921368 (December 1992 Access Letter, p. 18, ¶C56-208) -- summary under Payment & Receipt
15 June 1992 T.I. 921368 (December 1992 Access Letter, p. 18, ¶C56-208)-- summary under Payment & Receipt Summary Under Tax Topics- General Concepts- Payment & Receipt No payment will be considered to occur pursuant to an agreement between the parties to the effect that interest on a promissory note will be deemed to be paid and then loaned back to the borrower. ...
Technical Interpretation - Internal summary
19 June 1995 Memorandum 950842 (C.T.O. "Patronage Dividends Paid by Non Co-ops") -- summary under Payment & Receipt
"Patronage Dividends Paid by Non Co-ops")-- summary under Payment & Receipt Summary Under Tax Topics- General Concepts- Payment & Receipt Payment of a patronage dividend may be effected by the issuance of shares or debt instruments, where such an arrangement is authorized by the customer. ...
Technical Interpretation - External summary
31 August 1992 T.I. (Tax Window, No. 24, p. 8, ¶2184) -- summary under Payment & Receipt
(Tax Window, No. 24, p. 8, ¶2184)-- summary under Payment & Receipt Summary Under Tax Topics- General Concepts- Payment & Receipt A direct payment by a non-resident to Revenue Canada of a tax liability of a related Canadian corporation would entail the receipt of an amount by the Canadian corporation for purposes of s. 12(1)(x). ...
Technical Interpretation - External summary
7 August 1992 T.I. 921752 (May 1993 Access Letter, p. 198, ¶C76-066) -- summary under Payment & Receipt
7 August 1992 T.I. 921752 (May 1993 Access Letter, p. 198, ¶C76-066)-- summary under Payment & Receipt Summary Under Tax Topics- General Concepts- Payment & Receipt Because the function of a journal entry is to record a transaction rather than to make it legally effective, the reclassification of a shareholder's loan into remuneration payable by a journal entry would not be considered to be payment of the remuneration. ...