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Technical Interpretation - External

15 October 1998 External T.I. 9818485 - PRINCIPAL RESIDENCE EXEMPTION

Principal Issues: Principal residence- land in excess of 1/2 hectare Position: law generally explained since all facts not available Reasons: See files # 950960, 931679, 9703685, 9431495, 9502557, 9504376, 9725785. ...
Technical Interpretation - External

15 October 1998 External T.I. 9822155 - QUALIFIED FARM PROPERTY, REPLACEMENT PROPERTY

On XXXXXXXXXX, the taxpayer purchased the “XXXXXXXXXX property which consisted of 320 acres of land and a house. 6. ...
Technical Interpretation - External

18 December 1998 External T.I. 9827925 - TUITION TAX CREDIT, EDUCATION TAX CREDIT

Reasons: See Rulings file # 971711, 951676, 930195, 961018, 910602 XXXXXXXXXX 982792 G. ...
Technical Interpretation - External

18 February 1999 External T.I. 9817165 - SEGREGATED FUND-FORM OF GUARANTEE

We are assuming that under the terms and conditions of the Policy the Policyholder would be allocated an additional 25 notional units in this case (25 @ $8/unit= $200). ...
Technical Interpretation - External

1 March 1999 External T.I. 9833675 - FARM LAND AS QUALIFIED FARM PROPERTY

The reference in 73(3) to "... eligible capital property in respect of a business carried on in Canada by a taxpayer... ...
Technical Interpretation - External

1 August 2018 External T.I. 2018-0768241E5 - CCA for Equipment Used to Produce Biofuels

Yours truly, Kimberley Wharram Acting Manager Resources Section Reorganizations Division Income Tax Rulings Directorate Legislative Policy & Regulatory Affairs Branch FOOTNOTES Note to reader: Because of our system requirements, the footnotes contained in the original document are shown below instead: 1 For the present purposes, the word “primarily” means more than 50%. 2 C.R.C. c. 945, as amended. 3 R.S.C. 1985, c. 1 (5th suppl.) as amended. 4 The following property only qualifies for an inclusion in Class 43.1: (i) mid-efficiency, fully or partially fossil-fuelled cogeneration systems; (ii) electric vehicle charging stations set up to supply more than 10 kW but less than 90 kW of continuous power; and (iii) electrical energy storage equipment connected to one of the above systems and stand-alone electrical energy storage systems meeting particular efficiency requirements. 5 See paragraphs (b) and (e) of Class 43.1. 6 See paragraphs (a) to (c) of Class 43.1 of Schedule II of the Regulations. 7 See generally, Tenneco Canada Inc. v The Queen, 91 D.T.C. 5207 (F.C.A.) and more recently, Canada v. ...
Technical Interpretation - External

12 April 1996 External T.I. 9532845 F - SITE D'ENFOUISSEMENT SANITAIRE

La société a calculé que les coûts d'entretien seraient d'environ XXXXXXXXXX $. ...
Technical Interpretation - External

5 November 1996 External T.I. 9634595 - DISPOSITION OF A LIFE INSURANCE POLICY - EMIGRATION

Yours truly, for Director Financial Industries Division Income Tax Rulings and Interpretations Directorate Policy & Legislation Branch ...
Technical Interpretation - External

12 April 1995 External T.I. 9417135 - CANADIAN MUTUAL FUND TRUST-NON-RESIDENT

If you dispose of the units after you have established Canadian residency, you will be taxable on 75 % of your capital gain on the disposition, and in general, the capital gain would be the difference between the selling price of the properties and their fair market value at the time you immigrated to Canada. ...
Technical Interpretation - External

24 April 1995 External T.I. 9429505 - MILK QUOTA

In this regard, as the determination of fair market value is a question of fact, we refer to Question # 32 of the Revenue Canada Round Table held at the 1989 annual conference of the Canadian Tax Foundation concerning the valuation of government rights where we stated: "The Department has not established valuation guidelines...for... property created by licensing or quota arrangements by various levels of government. ...

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