Search - 包建铎违纪违法案件以案促改以案促治专题组织生活会 个人对照检查
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Ruling
2005 Ruling 2005-0134461R3 - Loss utilization
When issued, Lossco's Class A Preferred Shares will have an aggregate redemption amount equal to the principal amount of the Consolidated Note and rights and restrictions described as follows: (a) non-participating and non-voting; (b) entitled to a cumulative dividend, at a rate applied to the redemption amount of the shares of Prime plus XXXXXXXXXX %. ...
Ruling
2005 Ruling 2005-0143711R3 - Loss utilization in a related group of companies.
The preferred shares will be: (a) non-participating and non-voting; (b) entitled to an annual cumulative dividend rate, applied to the redemption amount of the shares, described in Paragraph 12 below, equal to the interest rate applicable to the Profitco Demand Loan, described in Paragraph 11 below, plus XXXXXXXXXX %. ...
Ruling
2005 Ruling 2005-0128301R3 - Management Fee changes; new Classes of units MFT
XXXXXXXXXX Section Manager for Division Director International & Trusts Division Income Tax Rulings Directorate Policy and Planning Branch XXXXXXXXXX ...
Ruling
2006 Ruling 2005-0113161R3 - 86(1)
The ABCHoldco Common Shares that the AsHoldcos, the BsHoldcos and the CsHoldcos currently own were acquired by them in a somersault transaction in 1996, which was the subject of a ruling dated XXXXXXXXXX, 1996 (document # 9626043) ("1996 Ruling"). ...
Technical Interpretation - External
15 March 2006 External T.I. 2005-0124911E5 F - Prestation compensatoire française
Le paragraphe 2 de l'article 21 stipule ce qui suit: Toutefois, si ces revenus perçus par un résident d'un État contractant proviennent de sources situées dans l'autre État contractant, ils peuvent être imposés dans l'État d'où ils proviennent et selon la législation de cet État [...] ...
Ruling
2005 Ruling 2005-0125982R3 - Purchase of Target and Bump
Buyer GP has a XXXXXXXXXX % interest in Buyer LP. 11. Buyer Holdings operates as a holding company and its principal assets are the shares of the capital stock of Buyerco and advances made to Buyerco. ...
Ruling
2017 Ruling 2017-0715951R3 - Subsequent Reorganization and 2015-0623731R3
In connection with the dissolution: i) All of the remaining property of Subco 1 (including the Newco Common Shares, the Parent-Subco 1 Note and the Parent Preferred Shares) will be distributed to, and all of the remaining liabilities of Subco 1 will be discharged or assumed by, Parent; ii) The Parent Preferred Shares distributed to Parent on the winding-up will be cancelled by Parent; iii) The Parent – Subco 1 Note will be settled as a result of the winding-up of Subco 1 as a matter of law, due to the merger of rights of debtor and creditor. ...
Ruling
30 November 1995 Ruling 9628173 - LOSS UTILIZATION INVOLVING OPTION TO BUY DEP. PTY.
The total purchase price of the Purchased Assets was allocated as follows: Land $ XXXXXXXXXX Land Improvements XXXXXXXXXX Buildings XXXXXXXXXX XXXXXXXXXX Equipment and Machinery XXXXXXXXXX $XXXXXXXXXX The Trust funded the purchase of the Purchased Assets by issuing interest bearing Notes to various public financial institutions and by issuing Trust Certificates to XXXXXXXXXX. ...
Technical Interpretation - Internal
11 March 1997 Internal T.I. 9701087 - INTEREST ON REASSESSED ADDITIONAL MINING TAXES
Cathie Figueira Section Acting Assistant Director Peter Lee Verification & Enforcement (613) 957-8977 Attention: Ms. ...
Ruling
30 November 1996 Ruling 9703993 - ESTATE FREEZE
Corporations owned by Child 1 and Child 2 will become beneficiaries of the Family Trust in case Child 1 or Child 2 is a non-resident at the time a distribution would otherwise have been made to that child and which would have been subject to the proposed rule in the Notice of Ways & Means Motion of October 2, 1996 to the effect that property so distributed is deemed to have been disposed of at fair market value. ...