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Technical Interpretation - Internal summary
8 September 2023 Internal T.I. 2023-0987091I7 - Trailing Commissions and Dealer Rebates -- summary under Paragraph 12(1)(x)
The Directorate stated: [W]here an OEO Rebate is paid by an OEO Dealer to a unitholder in a trust, in the [above] circumstances … it is likely that the OEO Rebate would be considered to be in respect of the activities of the trust or in respect of an expense of the trust. ...
Technical Interpretation - Internal summary
22 December 2022 Internal T.I. 2021-0892121I7 - Classification of SCS -- summary under Corporation
Nonetheless, a Quebec general or limited partnership has many of the characteristics typically associated with legal personality such as being able or subject to suing or being sued in its own name, and having a separate patrimony – and CRA has “previously stated that the existence of a separate legal personality alone is generally not sufficient to distinguish certain foreign partnerships from Canadian partnerships.” ...
Technical Interpretation - Internal summary
18 April 2023 Internal T.I. 2020-0864031I7 - Application of subparagraph 95(2)(a)(i) -- summary under Paragraph 4(1)(a)
The Directorate indicated that FA4 appeared to have two separate businesses- a debt portfolio business, and a business of providing services to other foreign affiliates in the group – given inter alia that its services were mostly to other foreign affiliates (in contrast to the arm’s length customers of the debt portfolio business) and thus not principally services rendered to FA4’s own debt portfolio business. ...
Technical Interpretation - Internal summary
16 April 2024 Internal T.I. 2023-0964831I7 - Guaranteed payments to non-resident athletes -- summary under Subparagraph 115(1)(a)(i)
16 April 2024 Internal T.I. 2023-0964831I7- Guaranteed payments to non-resident athletes-- summary under Subparagraph 115(1)(a)(i) Summary Under Tax Topics- Income Tax Act- Section 115- Subsection 115(1)- Paragraph 115(1)(a)- Subparagraph 115(1)(a)(i) guaranteed salary payments received by a US-resident member of a Canadian team while not in Canada were not taxable in Canada A resident of the US, who had entered into a 6-year employment contract (covering years 20X1 to 20X6) with a Canadian team, suffered a serious injury in the 20X3 season but, pursuant to a guaranteed payment clause in his contract, continued to receive full salary for the remaining contract term notwithstanding that he ceased playing for that team – and was released by that team in 20X4 and hired by a US team in 20X5. ...
Technical Interpretation - Internal summary
30 July 2024 Internal T.I. 2024-1019041I7 - Conversion from a XXXXXXXXXX -- summary under Disposition
. … In such case, the CRA would generally rely on the relevant foreign corporate or company law and the details of the plan of conversion to determine whether there is a continuity of existence on the Conversion. ...
Technical Interpretation - Internal summary
14 September 2000 Internal T.I. 2000-0035797 F - ALLOCATION DE SEJOUR -- summary under Subparagraph 6(6)(a)(i)
. … [T]he term “maintained” must be interpreted as meaning “incurred expenses in respect of the self-contained domestic establishment (residence)”. ...
Technical Interpretation - Internal summary
10 July 2000 Internal T.I. 2000-0022027 F - OBLIGATION LÉGALE DE PAYER UNE DÉPENSE -- summary under Paragraph 18(1)(e)
If the facts show that it is only the time of payment that is not precisely established, but that there is no uncertainty as to the payment of the amount … it could then be a future obligation to pay and not a contingent obligation. ...
Technical Interpretation - Internal summary
31 August 2000 Internal T.I. 2000-0038757 F - ALLOCATIONS POUR FRAIS DE DEMENAGEMENT -- summary under Paragraph 6(1)(b)
. – but further provided that in special justifiable circumstances, reimbursement of the following allowances could be authorized: a) a compensatory allowance for the self-moving of furniture, equal to 50% of the estimate of a moving firm, b) a compensatory allowance for the self-sale of the residence, established at 3% of the sale price, and c) in the event that the employee waived the employee’s right to the reimbursement of moving expenses, a compensatory allowance for additional moving expenses equaling 50% of the following: certain related expenses, real estate agent fees equivalent to 6% of the residence’s municipal evaluation, notary fees of $850 and the amount of a moving company estimate. ...
Technical Interpretation - Internal summary
8 July 2013 Internal T.I. 2012-0434991I7 F - Déductibilité d'une perte -- summary under Subparagraph 40(2)(g)(ii); Subparagraph 40(2)(g)(ii)
. … In Mr. A's case, it is reasonable to assume that the assumption of responsibility for the mortgage debt obligations was intended to generate income by protecting his investment. ...
Technical Interpretation - Internal summary
30 June 2014 Internal T.I. 2013-0508411I7 F - Part IV Tax and the Dividend Refund -- summary under Subparagraph 152(4)(a)(i)
. … [S]ince the necessity to effect the circular calculation…is well known, we believe that a reasonable and prudent person would have effected the circular calculation in order to report (in the income tax return filed) the correct figures to the Minister. ...