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Technical Interpretation - External summary

23 July 1996 External T.I. 9612365 - ARTICLE XI(4) & "INCOME ASSIMILATED TO INCOME"... -- summary under Article 11

23 July 1996 External T.I. 9612365- ARTICLE XI(4) & "INCOME ASSIMILATED TO INCOME"...-- summary under Article 11 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 11 A payment by a credit union to a member, in respect of a share of capital stock, which is deemed to be interest by s. 137(4.1) of the Act will be considered to be interest for purposes of Article XII of the Canada-U.S. ...
Technical Interpretation - External summary

23 November 1993 External T.I. 9322405 F - SR & ED -- summary under Subsection 37(1)

23 November 1993 External T.I. 9322405 F- SR & ED-- summary under Subsection 37(1) Summary Under Tax Topics- Income Tax Act- Section 37- Subsection 37(1) Where a non-resident company makes charges in the form of technical fees, royalties or licence fees to a Canadian taxpayer for the right to manufacture or produce a product developed as a result of SR&ED previously performed in Canada, this will not jeopardize the eligibility of the Canadian taxpayer for the ITC. ...
Miscellaneous summary

27 March 1994 Income Tax Severed Letter 9508671 - LIFETIME CAPITAL GAINS EXEMPTION & PERSONAL TRUST -- summary under Subsection 104(24)

27 March 1994 Income Tax Severed Letter 9508671- LIFETIME CAPITAL GAINS EXEMPTION & PERSONAL TRUST-- summary under Subsection 104(24) Summary Under Tax Topics- Income Tax Act- 101-110- Section 104- Subsection 104(24) Because it is not possible for a deemed capital gain (in this instance, arising under s. 110.6(19)) to be income (or a capital gain) for trust purposes, a capital encroachment power and/or the issue of a promissory note would not be sufficient to make such a deemed gain payable for purposes of s. 104(24). ...
Technical Interpretation - External summary

26 July 1995 External T.I. 9501585 - court ordered partition & sale disposition -- summary under Subsection 44(1)

26 July 1995 External T.I. 9501585- court ordered partition & sale disposition-- summary under Subsection 44(1) Summary Under Tax Topics- Income Tax Act- Section 44- Subsection 44(1) Where as a result of the bankruptcy of one of the four co-tenants of rental properties, a court-appointed trustee receives court approval for severance, partition and sale of the property, the non-bankrupt co-tenants would be entitled to utilize s. 44(1) in respect of their proceeds (in this case, property interests in other co-owned buildings). ...
Technical Interpretation - Internal summary

22 February 1996 Internal T.I. 9604507 - PART I.3 - CAPITAL LEASES & CONDITIONAL SALES AGREEMENTS -- summary under Subsection 181(3)

22 February 1996 Internal T.I. 9604507- PART I.3- CAPITAL LEASES & CONDITIONAL SALES AGREEMENTS-- summary under Subsection 181(3) Summary Under Tax Topics- Income Tax Act- Section 181- Subsection 181(3) "For purposes of Part I.3, and with respect to leases, it is the department's position that it is the legal nature of the agreement that governs irrespective of the accounting treatment or nomenclature used to describe or characterize the related transaction(s). ...
Technical Interpretation - Internal summary

22 February 1996 Internal T.I. 9604507 - PART I.3 - CAPITAL LEASES & CONDITIONAL SALES AGREEMENTS -- summary under Subsection 181.2(3)

22 February 1996 Internal T.I. 9604507- PART I.3- CAPITAL LEASES & CONDITIONAL SALES AGREEMENTS-- summary under Subsection 181.2(3) Summary Under Tax Topics- Income Tax Act- Section 181.2- Subsection 181.2(3) The obligation of a purchaser under a conditional sales agreement generally will be included in its capital only where such obligation has been outstanding for more than 365 days, unless the obligation is evidenced by the issuance by it to the vendor of a note. ...
Technical Interpretation - Internal summary

22 February 1996 Internal T.I. 9604507 - PART I.3 - CAPITAL LEASES & CONDITIONAL SALES AGREEMENTS -- summary under Subsection 181.2(4)

22 February 1996 Internal T.I. 9604507- PART I.3- CAPITAL LEASES & CONDITIONAL SALES AGREEMENTS-- summary under Subsection 181.2(4) Summary Under Tax Topics- Income Tax Act- Section 181.2- Subsection 181.2(4) A lease obligation reflected as an asset on the balance sheet of a lessor corporation is not eligible for an investment allowance as a loan or advance. ...
Conference summary

10 October 2003 Roundtable, 2003-0030095 F - Inter. Between Sub. 13(21.2) & 88(1) of ITA -- summary under Subsection 13(21.2)

Between Sub. 13(21.2) & 88(1) of ITA-- summary under Subsection 13(21.2) Summary Under Tax Topics- Income Tax Act- Section 13- Subsection 13(21.2) Where a subsidiary corporation has had s. 13(21.2) apply to a transfer of depreciable property to its parent corporation, and the subsidiary is then wound up under s. 88(1), ss. 88(1)(e.2) and 87(2)(g.3) will deem the parent corporation to be a continuation of the subsidiary corporation for the purposes of applying the rules in s. 13(21.2) to the parent corporation in respect of the denied terminal loss. ...
Technical Interpretation - External summary

29 March 2001 External T.I. 2001-0074145 - Affiliated persons & stop loss rules -- summary under Paragraph 251(1)(c)

29 March 2001 External T.I. 2001-0074145- Affiliated persons & stop loss rules-- summary under Paragraph 251(1)(c) Summary Under Tax Topics- Income Tax Act- Section 251- Subsection 251(1)- Paragraph 251(1)(c) Where the shares of a corporation are owned equally by four trusts having the same corporate trustee, s. 40(3.6) will apply to deny a capital loss arising on the redemption of the shares of one of the trusts. ...
Technical Interpretation - External summary

29 March 2001 External T.I. 2001-0074145 - Affiliated persons & stop loss rules -- summary under Subsection 40(3.6)

29 March 2001 External T.I. 2001-0074145- Affiliated persons & stop loss rules-- summary under Subsection 40(3.6) Summary Under Tax Topics- Income Tax Act- Section 40- Subsection 40(3.6) Where the shares of a corporation are owned equally by four trusts having the same corporate trustee, s. 40(3.6) will apply to deny a capital loss arising on the redemption of the shares of one of the trusts. ...

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