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Technical Interpretation - External summary

19 December 2016 External T.I. 2016-0643191E5 F - Deferred Salary Leave Plan (DSLP) -- summary under Subsection 5(1)

CRA then indicated that in this type of arrangement (or one where the employee only receives advances during the leave in which case, it is not within the DSLP rules), the employee is entitled to a s. 8(1)(n) deduction as the advances are “repaid” (i.e., out of reduced pay cheques following the return to work). ...
Technical Interpretation - External summary

6 December 2016 External T.I. 2015-0605971E5 - Paragraph 110(1)(d.01) deduction -- summary under Subsection 110(2.1)

. “[I]mmediately” in the phrase “to immediately dispose of the security and pay all or a portion of the proceeds” in subsection 110(2.1)…refers to both the disposition of the security and the payment of the proceeds to the qualified donee. ...
Technical Interpretation - External summary

19 January 2017 External T.I. 2015-0576751E5 F - Trust, Disposition of depreciable property, Assumption -- summary under Subsection 107(2)

. The question of whether the assumption by the beneficiary of the debt of the trust constitutes consideration for the acquisition of a beneficial interest in the trust is a question of fact…. ...
Technical Interpretation - External summary

12 July 2016 External T.I. 2014-0560361E5 - Cdn beneficiary of US living trust -- summary under Subsection 104(1)

. Where the grantor can change the terms of, or completely revoke the trust during their lifetime, they effectively retain control of the trust assets. ...
Technical Interpretation - External summary

13 March 2017 External T.I. 2016-0626641E5 F - Election - Subsection 1101(5b.1) Reg. -- summary under Subsection 1102(23)

.-- summary under Subsection 1102(23) Summary Under Tax Topics- Income Tax Regulations- Regulation 1102- Subsection 1102(23) further work on an addition does not fall into a separate class CRA considered that if there are two separate additions to a pre-2007 non-residential building, an election under Reg. 1101(5b.1) must be made on each separately and each addition will fall into a separate class whereas if the work on a single addition extends over more than one year (or there is a subsequent second addition to further extend the first addition), the election can be made at the end of the first year with respect to the work done to date (although this might have no immediate impact under the available-for-use rules) and the subsequent work will fall into the same separate deemed new class without any need to make a second election. ...
Technical Interpretation - Internal summary

27 April 2017 Internal T.I. 2017-0684831I7 - Changes to relevant spot rate -- summary under Relevant Spot Rate

., Thomson Reuters Corporation and OANDA Corporation, whose rates are "generally acceptable"]; used in accordance with well-accepted business principles; used for the preparation of the taxpayer’s financial statements; and used consistently from year to year by the taxpayer.... ...
Conference summary

26 April 2017 IFA Roundtable Q. 4, 2017-0691211C6 - App of s. 261(21) to loan with FA -- summary under Subsection 261(6.1)

CRA considers that any FX loss realized by Parent on maturity of the loan would be denied by s. 261(21) given that the loan made by FA was on FAPI account even if Parent had entered into a cross-currency swap to hedge its U.S. ...
Technical Interpretation - External summary

9 March 2017 External T.I. 2016-0680071E5 F - Règles transitoires - immobilisations admissibles -- summary under Paragraph 13(38)(d)

9 March 2017 External T.I. 2016-0680071E5 F- Règles transitoires- immobilisations admissibles-- summary under Paragraph 13(38)(d) Summary Under Tax Topics- Income Tax Act- Section 13- Subsection 13(38)- Paragraph 13(38)(d) s. 13(38)(d)(iii) election can be available notwithstanding that only a minor pre-2017 ECE was incurred At the 2016 CTF Annual Conference, Q13, CRA indicated that the s. 13(38)(d)(iii) election to maintain the effect of the s. 14(1)(b) inclusion is unavailable where a taxpayer’s only intangible asset was internally-generated goodwill with no cost so that the taxpayer could not be said to have made or incurred an ECE in respect of the business, thereby ousting the election. ...
Technical Interpretation - External summary

16 June 2017 External T.I. 2016-0674541E5 - Mineral Certification -- summary under Paragraph (f)

16 June 2017 External T.I. 2016-0674541E5- Mineral Certification-- summary under Paragraph (f) Summary Under Tax Topics- Income Tax Act- Section 66.1- Subsection 66.1(6)- Canadian exploration expense- Paragraph (f) exploring a placer jade deposit did not qualify as CEE The Minister of Natural Resources advised CRA that nephrite (a type of jade) to be extracted from the in-situ deposits on the subject property was an industrial mineral contained in non-bedded deposits but excluding placer nephrite deposits, which were considered to not qualify as “a mineral deposit in respect of which...the principal mineral extracted is an industrial mineral contained in a non-bedded deposit.” ...

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