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Technical Interpretation - External summary
11 June 2015 External T.I. 2014-0522641E5 F - Usufruct -- summary under Subsection 108(7)
See summaries under s. 73(3) and s. 110.6(1) – qualified farm or fishing property. ...
Technical Interpretation - External summary
1 May 2014 External T.I. 2013-0494981E5 F - De Jure Control -- summary under Subparagraph 251(2)(b)(i)
. … [T]his approach should be preferred, in any situation similar to that described in Scenario 3, for establishing who has de jure control of a corporation. ...
Technical Interpretation - External summary
20 August 2015 External T.I. 2015-0581681E5 F - Non-resident trust rules -- summary under Connected Contributor
. … After paraphrasing the definitions of "resident contributor," "contributor" and "resident beneficiary" (which latter definition referenced a "connected contributor to the trust,") CRA stated: Under subsection 94(1), a "connected contributor" includes any contributor to the trust at a particular time other than a person all of whose contributions to the trust made at or before the particular time were made at a non-resident time of the person as defined in subsection 94(1). ...
Technical Interpretation - External summary
30 April 2013 External T.I. 2013-0475271E5 F - CCTB - Marital Status Change -- summary under Paragraph 122.62(7)(b)
. … Mr. B's income will not be considered in setting the CCTB for the months before July 2012 since paragraph 122.62(7) (b) applies only to a month that begins after a change in marital status. ...
Technical Interpretation - External summary
21 August 2014 External T.I. 2014-0527611E5 - T1135 for Deceased Individual -- summary under Subsection 233.3(3)
This combined value should be included in Category 6 of Form T1135, " Other property outside of Canada. ...
Technical Interpretation - External summary
25 August 2015 External T.I. 2015-0571271E5 F - Affiliated Trusts under Paragraph 251.1(1)(h) -- summary under Contributor
X would also, by virtue of subparagraph 251.1(4)(d)(i), be a majority interest beneficiary of Trust B… … Trust A and Trust B would thus be affiliated…by virtue of subparagraph 251.1(1)(h)(i)…. ...
Technical Interpretation - External summary
11 March 2013 External T.I. 2012-0469231E5 F - Deferred terminal loss -- summary under Paragraph 13(21.1)(a)
CRA responded: [T]he elements applied to determine the proceeds of disposition of the building according to the calculation rules set out in paragraph 13(21.1)(a) … are, inter alia, the fair market value of the land immediately before its disposition and its cost amount to the vendor. ...
Technical Interpretation - External summary
10 August 2015 External T.I. 2015-0602751E5 - Capital gains deduction and section 84.1 -- summary under Paragraph 84.1(2)(a.1)
. … If instead of selling the shares to you and your wife, the Shareholder had sold the shares of the Corporation to Holdco and received a note, subsection 84.1(1)(b) of the Act might apply to deem the Shareholder to have received a dividend on the disposition of the shares. ...
Technical Interpretation - External summary
7 December 2015 External T.I. 2015-0585171E5 F - 7(1)(b) benefit and 110(1.1) election -- summary under Subsection 110(1.1)
. … The Corporation appears to be the particular qualifying person which has agreed to issue or sell the shares. ...
Technical Interpretation - External summary
22 February 2016 External T.I. 2014-0525681E5 - Taxation of inherited pension plan payment -- summary under Article 18
Internal Revenue Code (footnote 1 [Section 691(c)(1) provides that a person who includes an amount of income in respect of a decedent (“IRD”) in gross income under § 691(a) is allowed as a deduction, for the same taxable year, a portion of the estate tax paid by reason of the inclusion of that IRD in the decedent’s gross estate]), such excluded amount would not be taxable in Canada and may be deducted by the Canadian resident taxpayer in computing his taxable income in accordance with subparagraph 110(1)(f)(i). ...