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Joint Committee and other submissions
Miscellaneous correspondence
Email this Content Joint Committee and other submissions 2025 2024 2023 2022 2020 2019 2018 2017 2016 2015 2014 2013 2012 2011 2010 2009 2008 2007 2006 Date Copy of submission re: Principal topics 2025 Apr 15 Suggested technical amendments to current ITA provisions Proposed technical amendments to EIFEL rules re s. 78(1)(a), s. 80(2)(b), s. 18.2(1) – excluded entity – (c), s. 18.2(1) – tax-indifferent, s. 18.2(1) – adjusted taxable income – C – (a), s. 18.2(1) – excluded lease, share buyback tax s. 183.3(1) – substantive debt – (c), s. 183.3(2), related company butterfly s. 55(5)(e)(i), Pt. ... Canada, 2020 FCA 21, s. 212(1)(i), s. 214(15)(b), s. 56.4(1)- restrictive covenant, consent, commitment and standby fees, early exchange bonus June 11 CRA Guidance re COVID-19 impact on international transactions COVID-19, designated treaty country, Reg. 5907(1)- exempt earnings, a. 95(1) – investment business, permanent establishment, non-qualifying country, services PE, qualifying non-resident employee June 1 19 May 2020 draft Time Limits and Other Periods Act (COVID-19) s. 180(1), s. 152(4), s. 152(3.1), s. 37(11), s. 127(9)- investment tax credit- – para. ... /FTC generators-FAT/interest on refunds May 3 2010 Budget: Non-Resident Trusts and FIEs non-resident trusts/foreign investment entities April 21 IT Bulletins re archiving all IT Bulletins Feb. 15 Dec. 18, 2009 Foreign Affiliate Amendments f.a. elections/s. 93(1)/fill the hold/bump/design. treaty country/FAPLs & FAT 2009 Sept. 30 Declaration Process re Treaty Witholding Rates Part XIII/Declaration of Benefits/waiver of penalties and interest April 1 Québec Paper on Aggressive Tax Planning GAAR penalties/promoter penalties/disclosure requirements Jan. 7 NRTs and FIEs non-resident trusts and foreign investment entities 2008 Sept. 15 July 14, 2008 SIFT Amendments "excluded subsidiary entity"/SIFT partnerships/SIFT trusts July 15 Canada's System of International Taxation foreign debt/treaty shopping/active business income/NRTs & FIEs/base erosion rules/FAPI June 18 SIFT Conversions SIFT trusts/asset transfers/continuity of tax attributes June 4 Bill C-10 NRTs/dual-resident trusts Senate Standing Committee comfort letters/residence/NRTs & FIEs/94(1)- "exempt foreign trust" Jan. 24 Bill C-10 NRTs & FIEs Jan. 8 Fifth Protocol treaties: residence/dividends/employment income/limitations on benefits 2007 Dec. 4 SIFT Conversion debt rollover/SIFT partnerships Oct. 23 2007 Budget 20(1)(e)/18.2(3)(a)(ii)- "substituted property"/18.2(9), (10)/s. 95.2(f), (f.1)/93.1 June 1 Foreign Affiliate Amendments accounting burden May 7 International Fair Tax Initiative grandfathering/uncertainty March 7 Bill C-33 – Ss. 52(3)(a), 53(1)(b) CDA/dividends/PUB increases/contributed surplus Feb. 21 "Normal Growth" for Income Trusts SIFT conversions/ambiguities in Guidelines Jan. 31 Dec 21, 2006 SIFT amendments deemed dividends/"investment"/"business"/"non-portfolio earnings" & "non-portfolio property"/REITs/"real or immovable property" 2006 Dec. 4 Eligible Dividend Rules 89(14) Sept. 29 Outstanding Income Tax Proposals interest deductions/foreign investments/foreign affiliates/interest & penalty relief Jan. 30 July 18, 2005 Technical Amendments attached submissions not in document Jan. 27 November 17, 2005 NWMM- S. 143.3 attached submissions not in document Jan. 20 Feb. 27 2004 Foreign Affiliate Amendments foreign affiliate PUC/foreign PUC currency/hedging arrangement currency ...
Finance Comfort Letters
Miscellaneous correspondence
Email this Content Finance Comfort Letters 2019 Link Affected legislation Principal topics Dec 2 Cross-Border Surplus Stripping & Graduated Rate Estates s. 212.1(6)(b) exception to s. 212.1(6)(b) look-through rule for graduated rate estates Sept 4 Principal Residence Exemption for Trusts s. 54 – principal residence – (c.1)(iii.1)(B) extend “principal residence” status for QDTs where an inter vivos trust Sept 3 Deductibility of Mining Taxes s. 20(1)(v), Reg. 3900(2), s. 152(4) removal of statute-barring where increase in mining taxes Aug 26 “Advantage”: Exclusion for Investment Management Fees “Advantage”: Exclusion for Investment Management Fees s. 207.01(1) definition of "advantage" and investment management fees of registered plans July 29 Eligible Capital Property (ECP) Transitional Issue s. 14(1) eligible capital amount recognition grandfathering of deferred proceeds from ECP disposition July 29 Functional currency tax reporting- currency of Japan s. 261(1) definition of ‘qualifying currency” designation of yen as qualifying currency 2018 Link Affected legislation Principal topics May 11 Saskatchewan Pension Plan- Tax Treatment of Variable Benefit Portion s. 146(21) et seq. variable benefits paid out of specified pension plan to qualify re pension income credits and income splitting and subject to Reg. 8506 May 1 repayment of back-to-back loans under the upstream loan rules s. 90(14) deemed B2B loan repayment deemed repayment of deemed loan under s. 90(7) similarly to ss. 15(2.18) and (2.19) 2016 Link Affected legislation Principal topics Dec 3 Foreign accrual property income resulting from the application of paragraph 95(2)(b) of the Income Tax Act to inter-affiliate payments for services s. 95(2)(b)(i)(B)(I) base erosion rule proposed extension of s. 95(2)(a)(ii)(D) safe harbor to inter-FA fees that are deemed FAPI under s. 95(2)(b)(i)(B)(I) 2015 Link Affected legislation Principal topics Nov 16 Spousal, alter ego and similar trusts s. 104(13.4) beneficiary income inclusion s. 104(13.4)(b) not to apply unless joint election joint election by trust and graduated rate estate and deceased died before 2017 – trust allocation of post death donations to s. 104(13.4)(a) year 2014 Link Affected legislation Principal topics Dec 23 The recent LRE amendments s. 251.2 loss restriction events s. 251.2(3)(f) safe harbour for unit redemptions – due date extensions for trust short year- loss restriction event only where actual beneficiary change [see also 2014-0534841C6 F]- application dates ...
25 November 2021 CTF Roundtable - Official Responses
Miscellaneous correspondence
Subsection 74.4(4) – Exception to the Purpose Test Subsection 74.4(4), which provides an exception to the Purpose Test in subsection 74.4(2), does not apply in this situation for the reasons set out below. ... The service standard for a Ruling is 90 business days commencing with the receipt of all information required from the client as outlined in Appendix A – Ruling Request Checklist of Information Circular IC 70-6R11, Advance Income Tax Rulings and Technical Interpretations[FN3: IC 70-6R11 Advance Income Tax Rulings and Technical Interpretations was published April 1, 2021.] ... Remission of the service fee will be granted when the Ruling is issued, or the Pre-ruling Consultation is completed, subsequent to its service target date, as set out in Appendix H – Remissions of IC 70-6. ...
7 October 2016 APFF Roundtable
Miscellaneous correspondence
Brief summary of oral response No – it’s applied on the property ensemble. ... For details on this subject, please see “Estate Donations- Deaths after 2015", Questions / Answers [http://www.cra-arc.gc.ca/gncy/bdgt/2014/qa14-eng.html] and "Estate Donations by Former Graduated Rate Estates", Questions / Answers, that are available on the website of the CRA. ... If the CRA considered that the dividend of $35,000 declared on the Class "A" shares in the capital stock of Opco was part of the FMV of the Class "A shares immediately before the dividend payment, the hypothetical FMV of the Class "A" shares held by HA is $80,100 ([($170,300- $35,000) / 3] + $35,000). ...
2 December 2019 CTF Conference - Paul Wilson in "New Taxation Rules for Private Corporations: So far, so reasonable?"
Miscellaneous correspondence
The Directorate worked closely with Rulings to put together some of those examples that were posted in July, and will continue working with them – practitioners have raised areas where further examples are needed. ... Scenario 6- Landscaping business sells sod Example 4 on CRA’s webpage entitled “ Tax on split income – Excluded shares ” holds that a cleaning business that spends 15% of its revenue on cleaning products is nevertheless engaged only in cleaning services, because the supply of cleaning products is incidental to the services. ... Consider a landscaping business, which generates income from cutting grass, fertilizing, and sodding – which entails buying grass. ...
25 November 2021 CTF Roundtable - Hybrid Mismatch Rules Panel
Miscellaneous correspondence
Since then, in addition to holding that this structure is primarily entered into to obtain a tax benefit and would not be undertaken by persons dealing at arm’s length, CRA also uses a new term — “commercial irrationality” — which is also well known in transfer pricing circles. ... Notices are not limited to a bad news – they’re a useful way for those of us in the Compliance Programs Branch to communicate directly with tax professionals as opposed to the general public, so we can be a bit more technical sometimes and just talk about administrative positions that we are taking. ...
7 October 2022 APFF Financial Strategies and Instruments Roundtable
Miscellaneous correspondence
CRA has applied the following formula in determining the amount of a superficial loss, or a suspended loss under s. 40(3.4): Deemed nil loss = (the lesser of S, P and B) / S x L where S = number of shares disposed of at that time P = number of shares acquired in the period from 30 days before to 30 days after the disposition B = number of shares remaining at the end of that period L = loss on disposition otherwise determined Consider the following examples: Hypothetical Situation 1 On March 15, 2022, an individual disposes of all of his shares (being 2,000) of ABC Pubco, and realizes a capital loss of $10,000. ... (" Audet ").] where the Federal Court concluded that the amount received for the endorsement of a note was received for a service. ... Would this satisfy the condition in s. 146.01(1) – regular eligible amount- para. ...
3 February 2021 Transfer Pricing Conference - Selected topics panel
Miscellaneous correspondence
If you use the OECD principal amount to determine the rate, what principal amount do you use – the thin cap, or the OECD amount – to calculate the total interest deduction under s. 20(1)(c)? ... In general, though, I am a fan of APAs – get the facts on the table, and arrive at certainty, in a bilateral or even multilateral APA. ... MacLean: I think it is clear that, under the Income Tax Act, a non-resident is a “taxpayer” – although admittedly that is often irrelevant. ...
5 May 2021 IFA Finance Roundtable
Miscellaneous correspondence
Trevor McGowan – The idea is that the hallmarks in s. 237.3 would be essentially unchanged – confidentiality, premium or contingent fees, and contractual protections. ... Tax loss consolidation Shawn Porter – Moving then to tax loss consolidation. ... Group Ratio Shawn Porter – Not every country has adopted a group ratio. ...
17 May 2023 IFA Finance Update
Miscellaneous correspondence
However, we identified a number of issues – some of which were not borne out by the data and have been dropped. ... As noted in the paper, the intention was not do all of the proposals – indeed, some of them were mutually exclusive. ... The Greenhouse Gas Pollution Pricing Act – famously “not a tax” – has a preamble. ...