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Ruling
6 September 1989 Ruling 74273 F - Non-profit Organizations - Revision of IT-83R2
6 September 1989 Ruling 74273 F- Non-profit Organizations- Revision of IT-83R2 Unedited CRA Tags n/a September 6, 1989 Roy C. ...
Ruling
3 November 1989 Ruling 89M11561 F - Canada-Australia Income Tax Convention
Campbell (613) 957-2067 November 3, 1989 Dear 19(1) Re: 24(1) We have had correspondence on the above matter, the most recent being the disclosure of information to 24(1) We are attaching recent correspondence to our Toronto District Office from 24(1) along with a copy of a letter from the solicitors in. ...
Ruling
29 November 1989 Ruling 89M11603 F - Visit by Officials
Campbell (613) 957-2067 November 29, 1989 Dear Mr. 19(1) Re: Visit by officials from National Tax Administration December 5, 1989 Further to our meeting of Friday, November 24 and our conversation on Monday, November 27, we attach a copy of the agenda for the visit by 19(1). ...
Ruling
23 January 1990 Ruling 90M01133 F - Liquidation of Corporation
23 January 1990 Ruling 90M01133 F- Liquidation of Corporation Unedited CRA Tags n/a 19(1) (613) 957-2070 C. ...
Ruling
21 September 1989 Ruling 89M09631 F - Information Request
Campbell (613) 957-2067 September 21, 1989 19(1) On April 13, 1989, we wrote to the Deputy Minister of Financing asking for information on the above noted. ...
Ruling
2004 Ruling 2003-0043361R3 - SAR replacement with an agreement to issue shares
2004 Ruling 2003-0043361R3- SAR replacement with an agreement to issue shares Unedited CRA Tags 7 248(1)"S " Principal Issues: 1. ... However, under no circumstances will the share repurchase / redemption price exceed the amount as calculated in 8(b) and 8(d) above as determined at time of sale. 9. ... Multiplier: equals number of shares/ Remaining Value equals XXXXXXXXXX /$XXXXXXXXXX = XXXXXXXXXX iii. ...
Ruling
2001 Ruling 2001-0089903 - Wind-up of NRO Financing Structure
At present, the shareholders of Canco and Canco's outstanding shares are as follows: Shareholder Class of Shares Number of Shares Stated Capital US Parent Common XXXXXXXXXX $ XXXXXXXXXX XXXXXXXXXX Common XXXXXXXXXX XXXXXXXXXX Total Common XXXXXXXXXX $ XXXXXXXXXX NRO One Class A XXXXXXXXXX $XXXXXXXXXX US Parent Class A XXXXXXXXXX XXXXXXXXXX Total Class A XXXXXXXXXX $XXXXXXXXXX NRO Two Class B XXXXXXXXXX $ XXXXXXXXXX Total Class B XXXXXXXXXX $ XXXXXXXXXX In connection with the Canco shareholders noted above, XXXXXXXXXX is a corporation formed under the laws of XXXXXXXXXX. ... On XXXXXXXXXX: (i) US Parent will contribute XXXXXXXXXX % of the common and Class A shares of NRO One and NRO Two to US Sub in exchange for common shares issued by US Sub; and (ii) US Parent and US Sub will then contribute their shares of NRO One and NRO Two to Partnership as a capital contribution. ...
Ruling
2010 Ruling 2010-0363461R3 - Supplemental Ruling
The two new proposed transactions consist of (1) Child4 will settle a self benefit trust (XXXXXXXXXX) with a $ XXXXXXXXXX dollar bill and the XXXXXXXXXX class A common shares of the capital stock of Holdco1 that he owns, and, (2) XXXXXXXXXX will distribute, by way of a capital distribution, the Amalco C Notes to Child4. ... Insert immediately after the heading "PROPOSED TRANSACTIONS" the following new paragraph 42.1: Trust will be created by Child4 by transferring to Trust a $ XXXXXXXXXX dollar bill and the XXXXXXXXXX class A common shares of the capital stock of Holdco1 he owns. ...
Ruling
2096 Ruling 9533143 - XXXXXXXXXX DSLP
Other Information As confirmed in our telephone conversation (XXXXXXXXXX / XXXXXXXXXX) of January 5, 1996, to the best of the knowledge of the XXXXXXXXXX none of the issues involved in the ruling request is being considered by a tax services or tax centre in connection with an income tax return already filed, and none of the issues involved is subject to a Notice of Objection. ... Yours truly, for Director Financial Industries Division Income Tax Rulings & Interpretations Directorate ...
Ruling
30 November 1995 Ruling 9608123 - LOSS CONSOLIDATION
XXXXXXXXXX 2.XXXXXXXXXX is a "public corporation" and a "taxable Canadian corporation within the meaning of those terms in subsection 89(1) of then Act. 3.XXXXXXXXXX a wholly owned subsidiary of XXXXXXXXXX The preference shares are voting, entitled to cumulative dividends and are redeemable at the option of the corporation. 4.XXXXXXXXXX was incorporated on XXXXXXXXXX and is governed by the XXXXXXXXXX 5.At XXXXXXXXXX had accumulated "non capital losses", within the meaning of that term in subsection 111(8) of the Act, of $ XXXXXXXXXX PROPOSED TRANSACTIONS 6.XXXXXXXXXX will borrow $XXXXXXXXXX from XXXXXXXXXX. ... Yours truly, for Director Financial Industries Division Income Tax Rulings and Interpretations Directorate Policy & Legislation Branch ...