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Technical Interpretation - Internal

30 May 2000 Internal T.I. 2000-0007187 - Reg. 400(2) - Fixed Place of Business

Principal Issues: In the definition of "permanent establishment" in paragraph 400(2)(a) of the Income Tax Regulations, do the words " a fixed place of business" mean a fixed place of business in Canada? ...
Technical Interpretation - Internal

25 August 2000 Internal T.I. 2000-0035007 - SDA INCENTIVE UNITS BASED ON FUTURE EARNINGS

., Verification & Enforcement Division M.P. Sarazin (613) 824-5441 Attention: Naomi Tsuji 2000-003500 Salary Deferral Arrangement We are writing to you in response to John Gordon's memorandum of June 27, 2000, wherein he requested our views as to whether a specific employee incentive plan would constitute a salary deferral arrangement for purposes of the Income Tax Act (the "Act"). ...
Technical Interpretation - Internal

28 August 2000 Internal T.I. 2000-0019437 - STATUTE-BARRED REASESSMENTS

August 28, 2000 XXXXXXXXXX Tax Services Office HEADQUARTERS Verification & Enforcement Division S. ...
Technical Interpretation - Internal

20 April 1999 Internal T.I. 9902707 - CHILD SUPPORT PAYMENTS

Jim Wilson Section Chief Business, Property & Employment Section II Business and Publications Division Income Tax Rulings and Interpretations Directorate Policy and Legislation Branch- 4-... ...
Technical Interpretation - Internal

8 July 1999 Internal T.I. 9902987 - BREACH OF EMPLOYMENT CONTRACT (SCHWARTZ)

Jim Wilson Section Chief Business, Property & Employment Section II Business and Publications Division Income Tax Rulings and Interpretations Directorate Policy and Legislation Branch ...
Technical Interpretation - Internal

10 November 1999 Internal T.I. 9924737 - MEDICAL EXPENSES

John Oulton Section Chief Business, Property & Employment Section III Business and Publications Division Income Tax Rulings and Interpretations Directorate Policy and Legislation Branch?? ...
Technical Interpretation - Internal

10 May 2023 Internal T.I. 2021-0918031I7 - Ontario CMT - corrected adjusted net loss balance

The Queen, 74 DTC 1029. […] [28] The respondent's concern is unnecessary. ...
Technical Interpretation - Internal

26 May 2023 Internal T.I. 2023-0962611I7 - Paragraph 60(v.2) deduction for a bankrupt

Section 60 states: “There may be deducted in computing a taxpayer’s income for a taxation year such of the following amounts as are applicable […] Canada Recovery Benefit Repayment (v.2) any benefit repayment payable by the taxpayer under section 8 of the Canada Recovery Benefits Act on or before the taxpayer’s balance-due day for the taxation year, to the extent that the amount was not deductible in computing the taxpayer’s income for any preceding taxation year;…” Therefore, a deduction for a CRB repayment may be claimed by a taxpayer if all of the following conditions are met: 1. ...
Technical Interpretation - Internal

6 April 2023 Internal T.I. 2022-0929731I7 - Articles 18(2) and (3) of the Canada-Italy Treaty

Notwithstanding any provision of this Convention: (b) benefits under the social security legislation in a Contracting State paid in a calendar year to an individual who is a resident of the other Contracting State shall be taxable only in the State in which they arise and according to the laws of that State but the tax so charged shall not exceed the amount that the recipient would otherwise be required to pay in that year if the recipient were a resident of that first-mentioned State…” The Protocol of Understanding (“Protocol”) to the Treaty contains additional provisions, including paragraph (j) which states, in part, the following: “(j) For the purposes of subparagraph (b) of paragraph 3 of Article 18, the term “social security” means: (a) in the case of Canada, any pension or benefit paid under the Old Age Security Act of Canada” While both CPP and OAS payments may generally be considered to be social security benefits, only the OAS payments are considered to be social security benefits under the Treaty in accordance with paragraph (j) of the Protocol. ...
Technical Interpretation - Internal

4 July 2003 Internal T.I. 2002-0173367 - Timber Royalty

July 4, 2003 International Tax Directorate Resource Industries Section Policies & Publications Unit A.A. ... In our view, this latter point highlights the difference between the "dependent on the use of or production from property" test contained in paragraph 12(1)(g) of the Act (which the Courts have traditionally interpreted as a "continuous / on-going" basis test consistent with the predecessor to that paragraph which expressly provided for the "continuous" nature of this test), and the test contained in paragraph 212(1)(e) of the Act. The latter test only requires that "the consideration is...dependent on, or computed by reference to, the amount of timber cut or taken", disregarding whether the timber is cut or taken on a "one-time" basis or "continuous / on-going" basis. ...

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