Search - 哈尔滨到北京 公里数

Results 1761 - 1770 of 2499 for 哈尔滨到北京 公里数
Ruling

1998 Ruling 9823723 - BUTTERFLY TRANSFER

The issued and outstanding shares of XXXXXXXXXX are held as follows: Number of Class of Paid-up Adjusted Shareholder Shares Shares Capital Cost Base XXXXXXXXXX XXXXXXXXXX XXXXXXXXXX XXXXXXXXXX The Series A preferred shares are redeemable at $XXXXXXXXXX per share, entitled to two votes per share and non-cumulative dividends at the rate of XXXXXXXXXX % per annum of the amount of their paid-up capital. 5. ... The issued and outstanding shares of XXXXXXXXXX are held as follows: Number of Class of Paid-up Adjusted Shareholder Shares Shares Capital Cost Base XXXXXXXXXX XXXXXXXXXX XXXXXXXXXX XXXXXXXXXX The Class A preferred shares are non-voting, redeemable and entitled to non-cumulative dividends at the rate of XXXXXXXXXX % per annum of the amount of their paid-up capital. 6. ... The authorized share capital of each of Subco XXXXXXXXXX and Subco XXXXXXXXXX will consist of: (a) an unlimited number of common shares which are fully participating and entitled to one vote per share; and (b) an unlimited number of Class A preferred shares, which will be redeemable and retractable for an amount equal to the fair market value of the consideration received by the corporation for the issuance of such shares, entitled to non-cumulative dividends at a rate of XXXXXXXXXX % per month on the redemption amount at the discretion of its directors, and carry one vote per share. ...
Ruling

1999 Ruling 9831093 - XXXXXXXXXX TAX RULING

Each Limited Partner will be entitled to a pro rata portion of XXXXXXXXXX % interest in the profits and losses of the Partnership, as well as the capital of the Partnership in the event of dissolution. ... The General Partner is entitled to XXXXXXXXXX % of the profits and losses of the Partnership, as well as the capital of the Partnership in the event of dissolution. 21. ... Such overhead costs will not exceed XXXXXXXXXX % of the total XXXXXXXXXX Expenses. ...
Ruling

2010 Ruling 2009-0337671R3 - Internal reorganization - 55(3)(a)

Holdco2 holds all of the "multiple voting shares" of the capital stock of Canco1, which entitle it to approximately XXXXXXXXXX % of the Canco1 shareholder votes. ... Before XXXXXXXXXX, Canco3 had XXXXXXXXXX common shares outstanding, of which approximately XXXXXXXXXX % were owned by A or corporations controlled by A and XXXXXXXXXX % were owned by current or former employees of Canco1. ... The Cancol Pref Shares have a fixed cumulative dividend of XXXXXXXXXX %, payable annually in U.S. dollars, and are redeemable by the holder on demand for an aggregate amount of USD $XXXXXXXXXX. ...
Ruling

2009 Ruling 2009-0338281R3 - Partnership Reorg-Personal Service Business

Each Partner is credited an amount equal to XXXXXXXXXX % of his XXXXXXXXXX for the XXXXXXXXXX services performed by such Partner. Further, an amount equal to XXXXXXXXXX % of the XXXXXXXXXX is credited to the Partner who is the Relationship Partner with respect to such client [See Paragraphs 10 and 11 below for changes that will be made to this provision]; (e) for each period determined from time to time by the Management Committee (currently being monthly), each Cost Sharer shall be responsible to pay that portion of Shared Expenses based on his or its Expense Unit. ... Quorum for a meeting of Partners requires Equity Partners present in person or represented by proxy being more than XXXXXXXXXX % of the Equity Partners in number. ...
Ruling

1998 Ruling 9826153 - LIMITED PARTNERSHIP ACB ADJUSTMENT

XXXXXXXXXX each hold a XXXXXXXXXX% direct minority interest in each of XXXXXXXXXX, and a XXXXXXXXXX % direct minority interest in XXXXXXXXXX. ... As at XXXXXXXXXX the units of XXXXXXXXXX were held as follows: Holder Outstanding Units Percentage (%) XXXXXXXXXX XXXXXXXXXX XXXXXXXXXX XXXXXXXXXX XXXXXXXXXX XXXXXXXXXX 17. ... As at XXXXXXXXXX, the units of XXXXXXXXXX were held as follows: Holder Outstanding Units Percentage (%) XXXXXXXXXX XXXXXXXXXX XXXXXXXXXX XXXXXXXXXX XXXXXXXXXX XXXXXXXXXX XXXXXXXXXX XXXXXXXXXX 18. ...
Ruling

2023 Ruling 2022-0954211R3 - Estate Freeze and Corporate Attribution

Bco has the following assets and liabilities: Bco Assets and FMV ($) Liabilities Cash XXXXX Bco Note XXXXX Total XXXXX 13. ... Cco has the followings assets and liabilities: Cco Assets and FMV ($) Liabilities Cash XXXXX Portfolio investments XXXXX Investments in US sub XXXXX Cco Note XXXXX Total XXXXX 15. ... Dco has the following assets and liabilities: Dco Assets and FMV ($) Liabilities Cash XXXXX XXXXX XXXXX Dco Note XXXXX Total XXXXX 17. ...
Ruling

2000 Ruling 1999-0013143 - 21-Year Rule - Trusts

As minor & unborn children were involved the value of the contingent capital interests were determined & set aside in a separate trust. ... To meet this requirement the value of the contingent interests in the XXXXXXXXXX Trusts will be determined after obtaining a valuation by a qualified actuary and valuator and pursuant to negotiations with the lawyer for the Contingent Beneficiaries and shall be approved by a judge of the Supreme Court of XXXXXXXXXX (individually the value of the contingent interest in each XXXXXXXXXX Trust will be referred to as "Contingent Value A", " Contingent Value B", "Contingent Value C" and "Contingent Value D", collectively referred to as the "Total Contingent Value"). ...
Ruling

2002 Ruling 2002-0156163 - PARTNERSHIP AT-RISK AMOUNT

Limited partners can only be allocated, on cumulative basis, losses that are less than their capital contribution (in this case XXXXXXXXXX % of XXXXXXXXXX %). ...
Ruling

2016 Ruling 2016-0626681R3 - Cross-border Butterfly

Forco 2 and Forco 3 are parties to a forward subscription agreement (the “Forco 2 Forco 3 FSA”). ... Forco 3 and DC ULC (CanParent ULC before the Amalgamation) are parties to a forward subscription agreement (the “Forco 3 CanParent ULC FSA”). ... The aggregate FMV, immediately before the DC ULC Transfer, of the Foreign Spinco Interests owned by Forco 3 will be equal to or approximate the amount determined by the following formula, on the assumption that Forco 3 is the participant, DC ULC is the distributing corporation and Foreign Spinco is the acquiror, (A × B/C) + D as found in subparagraph (b)(iii) of the definition of “permitted exchange” in subsection 55(1). ...
Ruling

2008 Ruling 2007-0251681R3 - Butterfly and freeze of an estate

A DC Class D Special Share entitles its holder to receive dividends if, as and when declared at the discretion of DC directors at a rate not to exceed XXXXXXXXXX % of its redemption amount per annum. ... A DC Class F Special Share entitles its holder to receive dividends if, as and when declared at the discretion of DC directors at a rate not to exceed XXXXXXXXXX % of its redemption amount per annum. ... The loans will be interest-bearing at a rate of XXXXXXXXXX %. The loans and interest will be repaid prior to XXXXXXXXXX days after the taxation year of each particular Grandchildren's Trust. ...

Pages