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Conference summary

15 May 2024 IFA Roundtable Q. 7, 2024-1007641C6 - Principal Purpose Test in the Multilateral Instrument -- summary under Article 7(1)

Situation (b) The same as Situation (a) except that a holding company (HC), resident in a non-treaty country, was interposed for non-tax reasons between Foreign MNC and FE but with the funding for the acquisition of the Canco shares still having come from Foreign MNC, and with any dividends paid flowing up to Foreign MNC. ...
Conference summary

15 May 2024 IFA Roundtable Q. 7, 2024-1007641C6 - Principal Purpose Test in the Multilateral Instrument -- summary under Article 10

A variant of this situation was the same except that a holding company (HC), resident in a non-treaty country, was interposed for non-tax reasons between Foreign MNC and FE but with the funding for the acquisition of the Canco shares still having come from Foreign MNC. ...
Ruling summary

2022 Ruling 2021-0919101R3 - Ruling Letter -- summary under Subsection 106(2)

However, on the death of Daughter2, ½ of the Fund property had been distributed in accordance with the Fund terms to her issue. ...
Conference summary

10 October 2024 APFF Roundtable Q. 4, 2024-1028431C6 F - Production d’une déclaration de renseignements T1134 dans une situation donnée -- summary under Subsection 233.4(4)

CRA indicated that since Canco and Holdco each held the USco shares directly for a portion of their 2023 taxation year, each would be a reporting entity that was required to file a T1134 for their 2023 taxation year however, as a related group with the same year end, and using the same functional currency, they could designate one of them as their representative to file a single T1134 information return with the required information for both. ...
Conference summary

10 October 2024 APFF Roundtable Q. 12, 2024-1028931C6 - Article 84.1 L.I.R. -- summary under Subparagraph 84.1(2)(a.1)(ii)

X's daughter purchased the shares from a person with whom she was dealing at arm's length the ACB of those shares should not be reduced by paragraph 84.1(2)(a.1), for the purposes of section 84.1. ...
Technical Interpretation - Internal summary

25 April 2013 Internal T.I. 2013-0478511I7 F - Distribution à un commanditaire -- summary under Paragraph 96(1)(f)

. …. If, in the case described, there in fact is an allocation of capital gains of the SEC to its partners, we believe it would be difficult to maintain that they do not retain their character in the hands of the latter, including the Limited Partner.... ...
Technical Interpretation - Internal summary

25 February 2014 Internal T.I. 2013-0475161I7 - Whether USCo has a PE in Canada -- summary under Article 5

. [G]eographic coherence [also] is required under the Treaty. ...
Ruling summary

2013 Ruling 2012-0449611R3 - single-wing butterfly reorganization -- summary under Subsection 186(1)

Holdco B Sub will be wound–up and then dissolved. The two Notes will be set-off. ...
Ruling summary

2013 Ruling 2012-0449611R3 - single-wing butterfly reorganization -- summary under Distribution

Holdco B Sub will be wound–up and then dissolved. The two Notes will be set-off. ...
Technical Interpretation - External summary

14 November 2013 External T.I. 2013-0499121E5 - upstream loan -- summary under Subsection 90(6)

. Therefore…paragraph 248(28)(a)… applies to remedy the situation and avoid double taxation of the same amount. ...

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