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Conference summary

7 October 2021 APFF Roundtable Q. 4, 2021-0900921C6 F - Mind and management et statut de SPCC -- summary under Section 123.3

. If the purpose of such a transaction were to avoid CCPC status in order to defeat the purpose and intent of various anti-avoidance rules applicable to investment income, including section 123.3 and subsection 123.4(2), the CRA would consider, depending on the circumstances, application of the GAAR under subsection 245(2). ...
Conference summary

7 October 2021 APFF Roundtable Q. 11, 2021-0901011C6 F - Application of subsection 98(3) -- summary under Subsection 98(5)

. In the situation where A Inc. would not be a partner of AB immediately before the time at which AB would cease to exist, we are of the view that subsection 98(5) could not apply. ...
Conference summary

7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 7, 2021-0899681C6 F - Stock option, Short sale and Identical property -- summary under Subsection 7(1.31)

7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 7, 2021-0899681C6 F- Stock option, Short sale and Identical property-- summary under Subsection 7(1.31) Summary Under Tax Topics- Income Tax Act- Section 7- Subsection 7(1.31) s. 7(1.31) applies to sale of shares acquired on exercise to cover short, but not to the sale of the shorted shares An employee, who engages in a short sale transaction to finance the exercise of stock options on the shares of the individual’s employer, short sells identical shares borrowed from a third-party lender and uses the short sale proceeds to inter alia fund the option exercise and then uses the shares acquired on exercise to cover the short position. ...
Conference summary

7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 7, 2021-0899681C6 F - Stock option, Short sale and Identical property -- summary under Subsection 39(4)

7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 7, 2021-0899681C6 F- Stock option, Short sale and Identical property-- summary under Subsection 39(4) Summary Under Tax Topics- Income Tax Act- Section 39- Subsection 39(4) s. 39(4) election can apply to both the dispositions occurring in connection with short sale transactions An employee, who engages in a short sale transaction to finance the exercise of stock options on the shares of the individual’s employer, short sells identical shares borrowed from a third-party lender and uses the short sale proceeds to inter alia fund the option exercise and then uses the shares acquired on exercise to cover the short position. ...
Conference summary

7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 10, 2021-0896101C6 F - Death of seg. fund policyholder - income allocatio -- summary under Subsection 104(24)

In particular having regard to the CRA view that “to be a right or thing [under s. 70(2)] the individual would have to be legally entitled to receive the amount at the time of the individual’s death (the right would have to exist)” CRA considered that even though an individual annuitant who died part way through the year was allocated the income that had been earned in the year up to the time of death on the T3 slip received by his executors, he had no legal entitlement to the allocated amounts. ...
Technical Interpretation - External summary

23 March 2022 External T.I. 2021-0921261E5 - Bill C-208 - 55(5)(e)(i) -- summary under Subparagraph 55(5)(e)(i)

However a textual, contextual and purposive interpretation of subparagraph 55(5)(e)(i) does not allow us to override its wording …. ...
Conference summary

7 October 2021 APFF Financial Strategies and Instruments Roundtable Q. 8, 2021-0899701C6 F - Post-mortem planning - Pipeline -- summary under Subsection 84(2)

However, it is still necessary to consider the application of section 84.1, subsection 245(2), as well as other relevant provisions …. ...
Conference summary

17 May 2022 IFA Roundtable Q. 2, 2022-0926461C6 - Royalty Apportionment 212(1)(d)(vi) -- summary under Subparagraph 212(1)(d)(vi)

. In determining if an apportionment provided under a mixed contract is reflective of the obligation of the parties under subsection 212(1), consideration would be given, amongst others, to the terms of the mixed contract and to whether the parties have divergent interests in respect of this apportionment. ...
Conference summary

17 May 2022 IFA Roundtable Q. 2, 2022-0926461C6 - Royalty Apportionment 212(1)(d)(vi) -- summary under Subsection 212(1)

. In determining if an apportionment provided under a mixed contract is reflective of the obligation of the parties under subsection 212(1), consideration would be given, amongst others, to the terms of the mixed contract and to whether the parties have divergent interests in respect of this apportionment. ...
Conference summary

17 May 2022 IFA Roundtable Q. 10, 2022-0926331C6 - Corporate Residence Approach -- summary under Subsection 2(1)

17 May 2022 IFA Roundtable Q. 10, 2022-0926331C6- Corporate Residence Approach-- summary under Subsection 2(1) Summary Under Tax Topics- Income Tax Act- Section 2- Subsection 2(1) board meeting situs not determinative of CMC Regarding a query as to whether CRA will continue to have “too much focus on the location of board meetings” in determining corporate residency, CRA noted that De Beers indicated that a corporation’s central management and control “must be determined after a scrutiny of the whole ‘course of business and trading’ of the corporation,” and then stated: Usually, central management and control is considered to abide where the members of the board of directors meet to make important and strategic decisions regarding the affairs of the corporation, unless central management of control is actually exercised elsewhere. ...

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