Search - 哈尔滨到北京 公里数

Results 3101 - 3110 of 3380 for 哈尔滨到北京 公里数
Technical Interpretation - External summary

14 August 2012 External T.I. 2012-0450041E5 F - subsection 55(4) -- summary under Subsection 55(4)

. Thus, subsection 55(2) would not apply in the situation described above to the extent that none of the occurrences set out in subparagraphs 55(3)(a)(i) to 55(3)(a)(v) occurred as part of a transaction or event or a series of transactions or events as a part of which the dividend was received. ...
Technical Interpretation - External summary

27 November 1998 External T.I. 9822835 - FOREIGN AFFILIATES - FOREIGN ACCRUAL TAX -- summary under Foreign Accrual Tax

. [I]t is a question of fact what portion of the total U.S. income tax paid by Usco1 under the Code for its taxation year ended December 31, 1997 is attributable to its share of the income of US LLC for that year. ...
Conference summary

7 October 2016 APFF Roundtable Q. 2, 2016-0652841C6 F - Changement partiel d’usage - immeuble locatif et résidentiel -- summary under Paragraph 45(1)(c)

. In the described situation, although each of the building's units was subject to a change of use in Year 11, the relation between the use regularly made by the taxpayer of the property for gaining or producing income and the use regularly made of the property for other purposes did not change during the year. ...
Technical Interpretation - Internal summary

9 May 2011 Internal T.I. 2011-0399531I7 F - Computation of safe income -- summary under Paragraph 55(2.1)(c)

. The CRA's longstanding position is instead to reduce the safe income on hand by every dollar of expenses that contributed to the loss sustained by the corporation on the grounds that such income is no longer on hand to contribute to the unrealized capital gain on a share. ...
Technical Interpretation - External summary

29 September 2011 External T.I. 2011-0405391E5 F - Utilisation d'un aéronef -- summary under Paragraph 6(1)(a)

After referencing the position in IT-160R3, para. 9, that a controlling shareholder generally will be considered to have received a benefit qua shareholder where “there is extensive use of the aircraft for personal purposes by the shareholder-employee or relatives or friends,” CRA stated: [T]he benefit arising from the person's use of the aircraft by the corporation's founder-president should be based on the price of a regular first class ticket for a scheduled flight to the same destination, as the founder-president received the benefit as an employee of the corporation. ...
Technical Interpretation - Internal summary

9 June 2011 Internal T.I. 2011-0395001I7 F - Co-propriété indivise d'un duplex -- summary under Ownership

. In the case where each of the co-owners has the exclusive right to live in his or her own unit, the value of their undivided share must take into account at the same time the exercise by each of them of the exclusive use and enjoyment of their unit, which necessarily includes the right to the use of the common parts of the building, and the prohibition on the use of the unit occupied by the other co-owner. ...
Conference summary

7 October 2011 Roundtable, 2011-0408251C6 F - REER, règle d'attribution, retenues à la source -- summary under Subsection 146(8.3)

[T]he deductions [under s. 153(1)(j)] are made from the lump sum payment and designated as being for the account of the person receiving the amount, being the RRSP annuitant. ...
Technical Interpretation - Internal summary

16 December 2010 Internal T.I. 2010-0380461I7 F - Cotisations versées à régime d'assurance-salaire -- summary under Subparagraph 6(1)(f)(v)

. [W]here a trustee or an insurance company pays benefits to an employee from a wage-loss replacement plan over which the employer does not exercise control, or where the employer does not determine eligibility for benefits, the trustee or insurance company is required to report the benefit amounts on a T4A information slip. ...
Technical Interpretation - External summary

24 September 2010 External T.I. 2010-0366661E5 F - Allocations de repas -- summary under Paragraph 6(1)(a)

. On the other hand... a meal allowance to which an employee is entitled after working a certain minimum amount of overtime to be taxable if the payment to the employee is not truly related to whether or not the employee actually takes a meal. ...
Technical Interpretation - Internal summary

1 April 2010 Internal T.I. 2009-0352611I7 F - Redressement après le délai de prescription -- summary under Subparagraph 152(4)(a)(i)

1 April 2010 Internal T.I. 2009-0352611I7 F- Redressement après le délai de prescription-- summary under Subparagraph 152(4)(a)(i) Summary Under Tax Topics- Income Tax Act- Section 152- Subsection 152(4)- Paragraph 152(4)(a)- Subparagraph 152(4)(a)(i) statement of incorrect income amount for spouse for s. 118(1)(a) credit purposes is a misrepresentation but CRA must establish that prudent person would not have so erred Where a taxpayer claimed the married or common-law partnership tax credit (the "Tax Credit") and, after the taxpayer’s spouse was assessed beyond the normal reassessment period to add unreported income, can CRA also reassess the taxpayer beyond the normal reassessment period? ...

Pages