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
2001 Ruling 2000-0055923 - Butterfly Reorganization
.), c.1 as amended to the date hereof, and unless otherwise stated, every reference herein to a part, section, subsection, paragraph or subparagraph is a reference to the relevant provisions of the Act; (b) "adjusted cost base" has the meaning assigned by section 54 and subsection 248(1); (b) "agreed amount" in respect of a property means the amount that the transferor and transferee of the property have agreed upon in their election under subsection 85(1) in respect of the property; (d) "BCA-XXXXXXXXXX " means Business Corporations Act of XXXXXXXXXX; (e) "CBCA" means Canada Business Corporations Act; (f) "CCRA" means, on or after November 1, 1999, the Canada Customs and Revenue Agency, and before November 1, 1999, Revenue Canada, Taxation; (g) "Canadian-controlled private corporation" has the meaning assigned by subsection 125(7); (h) "capital dividend account" has the meaning assigned by subsection 89(1); (i) "capital property" has the meaning assigned by section 54; (j) "distribution" has the meaning assigned by subsection 55(1); (k) "dividend rental arrangement" has the meaning assigned by subsection 248(1); (l) "eligible property" has the meaning assigned by subsection 85(1.1); (m) "guarantee agreement" has the meaning assigned by subsection 112(2.2); (n) "forgiven amount" has the meaning assigned by subsections 80(1) and 80.01(1); (o) "ITAR" means the Income Tax Application Rules; (p) "paid-up capital" has the meaning assigned by subsection 89(1); (q) "Paragraph" means a numbered paragraph in this letter; (r) "pre-1972 CSOH" means "pre-1972 capital surplus on hand" which has the meaning assigned by subsection 88(2.1); (s) "private corporation" has the meaning assigned by subsection 89(1); (t) "RDTOH" means "refundable dividend tax on hand" which has the meaning assigned by subsection 129(3); (u) "Regulations" means the Income Tax Regulations; (v) "specified financial institution" has the meaning assigned by subsection 248(1); (w) "specified investment business" has the meaning assigned by subsection 248(1); and (x) "taxable Canadian corporation" has the meaning assigned by subsection 89(1). ...
Technical Interpretation - Internal
22 March 2001 Internal T.I. 2000-0049167 - NON RESIDENT INSURER CIF
No Reasons: Please refer to the analysis in the document March 22, 2001 INTERNATIONAL TAX DIRECTORATE HEADQUARTERS Transfer Pricing & Alison Campbell Competent Authority Attention: Tam Nguyen 2000-004916 XXXXXXXXXX Canadian Investment Fund- Unregistered Reinsurance Reserve XXXXXXXXXX Taxation Years (Your File XXXXXXXXXX) This is in reply to your memorandum of September 25, 2000, regarding the XXXXXXXXXX and its Canadian branch, hereinafter referred to as USCo and the Branch, respectively. ...
Ruling
2002 Ruling 2002-0139163 - PARTNERSHIP; MUTUAL FUND
The only remaining property will be Series 2 shares and Company A will receive XXXXXXXXXX % of the remaining Series 2 shares and the limited partners of LP A will receive XXXXXXXXXX% of the remaining Series 2 shares, in proportion to the number of such limited partnership units held. ...
Ruling
2002 Ruling 2002-0161323 - Split up Butterfly
Subco1's authorized share capital will include at least one class of voting common shares and Class "A" shares which will be non-voting, non-participating preferred shares bearing a discretionary non-cumulative dividend of up to XXXXXXXXXX % per month and redeemable at the option of the corporation or shareholder for an amount equal to the fair market value of the amount received by the corporation as consideration for the share. ...
Ruling
2000 Ruling 2000-0008363 - Mutual Fund Large Investor Incentive
The purpose test in 104(7.1) is not met, namely the main purpose of the proposed transactions is to reduce the administrative complexity of the Reduced Management Fee program & to enable the manager to effectively market the units to differing groups of Investors. ...
Ruling
1999 Ruling 9918323 - XXXXXXXXXX Business of a Commercial Trust
., as part of the public offering, will purchase and hold, at the outset, XXXXXXXXXX % of the issued MFT units. ...
Ruling
2000 Ruling 2000-0040143 - Butterfly reorganization
Newco will add to the stated capital account maintained for its Newco Preferred Shares an amount equal to the amount by which the aggregate of: (a) the cost amounts, in the case of eligible properties, (b) the fair market value, in the case of other properties, and (c) the amount of the XXXXXXXXXX/Aco Promissory Note 2 transferred to XXXXXXXXXX/Bco exceeds (d) the amount equal to XXXXXXXXXX % of the Liabilities assumed by Newco. 20. ...
Ruling
1998 Ruling 9731833 - DISPOSITION OF PROPERTY TO RELATED PERSON
Propertyco also owns a XXXXXXXXXX % co-ownership interest (the "Interest") in XXXXXXXXXX lands, facilities and chattels and related inventories, accounts receivable and deposits (collectively, the "Facility”) that Propertyco and an arm's length third party (XXXXXXXXXX, or the “Co-owner") hold as equal tenants-in-common. ...
Ruling
1998 Ruling 9825343 - FOREIGN AFFILIATE REORGANIZATION
OPCO owns, inter alia, XXXXXXXXXX% of the shares of XXXXXXXXXX ("XXXXXXXXXX CO "), a company incorporated under the laws of XXXXXXXXXX and engaged in marketing, distributing and selling Products for the U.S. ...
Ruling
1999 Ruling 9903153 - BUTTERFLY REORGANIZATION
Y will be equal to or approximate the amount determined by the formula (A x B/C) + D as found in subparagraph (b)(iii) of the definition of "permitted exchange" in subsection 55(1). ...