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Technical Interpretation - External summary
16 November 2004 External T.I. 2004-0064821E5 F - 88(1) Bump -- summary under Subclause 88(1)(c)(vi)(B)(I)
. … [S]ubparagraph 88(1)(c.3)(ii) would not apply in such a situation. ...
Technical Interpretation - External summary
8 November 2004 External T.I. 2004-0092021E5 F - RDTOH: Foreign tax credit under sub. 126(1) -- summary under Variable B
. … [A]ny amount so deducted by the Corporation would reduce the Foreign Tax Credit under subsection 126(1) and thus no longer affect the calculation of its RDTOH. ...
Technical Interpretation - External summary
30 November 2004 External T.I. 2004-0090181E5 F - Assurance maladie grave -- summary under Income-Producing Purpose
. … Premiums paid by the corporation for the rider to the policy allowing it to obtain a premium refund amount if the shareholder does not have one of the covered illnesses or medical conditions after 10 years are not deductible on the basis of the application of paragraphs 18(1)(a) and 18(1)(h). ...
Technical Interpretation - External summary
17 November 2004 External T.I. 2004-0097131E5 F - Travail temporaire; négociation de contrats -- summary under Subparagraph 6(1)(b)(v)
For example … negotiating a collective agreement would not include the duties of ensuring its application and representing the union's employee members in a grievance. ...
Technical Interpretation - Internal summary
3 November 2004 Internal T.I. 2004-0083791I7 F - Paragraphe 44.1(2) -- summary under Eligible Small Business Corporation
Before concluding that “the new corporation did not carry on a business at the time the shares were issued” so that “those shares were not shares of an eligible small business corporation,” CRA noted that there was no evidence that “a software development activity … [had] started at the time the taxpayer invested in the corporation,” and also stated: [T]here may be arguments that the business was started at the time that steps to change the zoning were taken. ...
Technical Interpretation - External summary
9 December 2004 External T.I. 2004-0093621E5 F - REÉR et faillite -- summary under Subsection 146(8)
Beaudoin … 2004 DTC 2414, held that the payment of funds from an RRSP to pay a debt extinguished by the order of discharge of a bankrupt does not constitute the receipt of a benefit by the bankrupt within the meaning of subsection 146(8), since the bankrupt does not receive any money or benefit as a result of that payment. ...
Technical Interpretation - Internal summary
10 December 2004 Internal T.I. 2004-0082341I7 F - Dissolution d'un syndicat -- summary under Paragraph 6(1)(j)
In indicating that a portion of the sums distributed appeared to be taxable under s. 6(1)(j), with the balance being proceeds of disposition of memberships (having a nominal adjusted cost base), the Directorate stated: [T]here are good arguments to state that the amount received … by each of the members, up to the amount of their union dues paid in XXXXXXXXXX, constitutes a refund of their annual dues that reduces or cancels the deduction provided for in subparagraph 8(1)(i)(iv) in computing their employment income. ...
Technical Interpretation - Internal summary
16 December 2004 Internal T.I. 2004-0098631I7 F - Déduction - Résidence des membres du clergé -- summary under Paragraph 8(1)(c)
. … [We cannot] conclude that they are regular ministers because they are not authorized to perform most or all of the functions of a minister, including administering most of the sacraments of the Roman Catholic Church. ...
Technical Interpretation - Internal summary
11 January 2005 Internal T.I. 2004-0104341I7 - Reclassify CDE of partnership to CEE -- summary under Subsection 66.1(9)
11 January 2005 Internal T.I. 2004-0104341I7- Reclassify CDE of partnership to CEE-- summary under Subsection 66.1(9) Summary Under Tax Topics- Income Tax Act- Section 66.1- Subsection 66.1(9) "... paragraph (f) of the definition of CDE (which allocates the partner's share of CDE incurred by the partnership) does not contain any wording which changes the character of the expenses from the original character, i.e., the original character being expenses referred to in paragraphs (a) to (e) of the definition of CDE. ...
Technical Interpretation - External summary
5 January 2005 External T.I. 2004-0085571E5 F - Art. XXIV de la Convention Canada-France -- summary under Article 25
. … [T]he Canadian citizen to whom you refer in your request will be able to benefit from the exemption for the gain realized on the disposition of the residence located in France to the extent that a person with French nationality whose situation in fact and in law is identical to the individual’s own could benefit from it. ...