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Technical Interpretation - Internal

24 February 2011 Internal T.I. 2010-0387901I7 - Permanent Establishment

If you wish to discuss any of the above, please contact the writer. for Director International & Trusts Division Income Tax Rulings Directorate Legislative Policy and Regulatory Affairs Branch ...
Technical Interpretation - Internal

3 July 2009 Internal T.I. 2009-0312521I7 - Form T106

S. 161(11) and s. 248(11) July 3, 2009 Compliance Programs Branch HEADQUARTERS International & Large Business Directorate Income Tax Rulings Attention: Michael Chun, Manager Directorate International Policy Section Lindsay Frank (613) 948-2227 2009-031252 Form T106- Information Return on Non-Arm's Length Transactions with Non- Residents This is in reply to an email from Lata Agarwal, in which she posed questions on assessing penalty and interest in respect of the above-referenced form. ...
Technical Interpretation - Internal

12 March 2012 Internal T.I. 2011-0404671I7 - Paragraph 149(1)(l)

When providing XXXXXXXXXX services to the XXXXXXXXXX, XXXXXXXXXX % of the hours worked must be by employees who are either former members of XXXXXXXXXX or former XXXXXXXXXX employees. ...
Technical Interpretation - Internal

14 February 2014 Internal T.I. 2013-0495661I7 - Taxability of payment from US charitable trust

February 14, 2014 London TSO Income Tax Rulings Directorate Correspondence Unit Business & Employment Division 451 Talbot St. ...
Technical Interpretation - Internal

17 June 2008 Internal T.I. 2008-0276721I7 - Withholding requirements for non-resident employee

XXXXXXXXXX for Director International & Trusts Division Income Tax Rulings Directorate Legislative Policy and Regulatory Affairs Branch ...
Technical Interpretation - Internal

12 September 2014 Internal T.I. 2014-0518641I7 - Consequential Adjustments to Corporate Min Tax

September 12, 2014 T2 Strategy & Coordination Section HEADQUARTERS Assessment and Benefits Services Branch Income Tax Rulings Directorate Attention: Jeff Lewis Gillian Godson 2014-051864 Adjustments to Corporate Minimum Tax in a statute-barred taxation year We are writing in reply to your email of January 15, 2014, requesting our views on whether subsection 152(4.3) of the Income Tax Act (the "Act") provides the Minister with the discretion to adjust the balances with respect to the Ontario Corporate Minimum Tax ("CMT") for a taxation year which is statute-barred, where the adjustments are a result of a reassessment of the previous tax year. ...
Technical Interpretation - Internal

5 September 2013 Internal T.I. 2013-0487491I7 - Eligible dividends - credit unions

September 5, 2013 Paulette Salloum Bob Naufal T2 Strategy & Coordination Section IT Rulings Directorate Assessment and Benefit Services Branch 2013-048749 Credit Unions We are writing in response to your email dated May 1, 2013, wherein you asked whether a credit union that is a Canadian-controlled private corporation ("CCPC"), as defined in subsection 125(7) of the Income Tax Act (the "Act"), is required to file form T2SCH53, General Rate Income Pool (GRIP) Calculation or T2SCH54, Low Rate Income Pool (LRIP) Calculation with respect to eligible dividends paid in the year. ...
Technical Interpretation - Internal

10 April 2014 Internal T.I. 2014-0522091I7 - Whether aquaculture is farming under the Act

The Queen: It seems clear on reading the definition of farming in sec. 248(1) … that, since "farming" is defined as including the raising of poultry, together with other various agricultural activities, the enumeration of these matters is not intended to constitute an exhaustive definition and one must look to the common, ordinary and generally accepted meaning of the word as well as to the specific activities detailed in the statute. ...
Technical Interpretation - Internal

7 May 2014 Internal T.I. 2014-0528251I7 - Surface Rentals for Wind Farms

Please refer to paragraph 7 of Interpretation Bulletin IT-433R, Farming or Fishing – Use of Cash Method. ...
Technical Interpretation - Internal

8 November 2012 Internal T.I. 2012-0440231I7 - common-law partner

November 8, 2012 Colette Fournier Income Tax Rulings Directorate Programs Officer Financial Industries Division Training & Content Support Section Nancy Shea-Farrow Taxpayer Services Directorate 905-721-5099 2012-044023 Subject: Common-law partners This is in response to your e-mail on March 15, 2012 asking what marital status should be indicated on an individual's income tax return (the "return") in the following situation. ...

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