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Ruling summary

2015 Ruling 2015-0573141R3 - Subparagraph 95(2)(a)(i) -- summary under Subparagraph 95(2)(a)(i)

The Income will be added to the exempt earnings of the FA5 Subsidiary pursuant to Reg. 5907(1) exempt earnings s. ...
Ruling summary

2019 Ruling 2019-0793281R3 F - Post-mortem Hybrid Pipeline -- summary under Subsection 84(2)

“However, no property will be acquired by a person described in subclause 88(1)c)(vi)(B)(I), (II) or (III) in the course of the following series: the transactions or events which include the amalgamation …. or winding-up ….” ...
Ruling summary

2020 Ruling 2019-0819871R3 - Loss Consolidation Involving Canadian Branch -- summary under Subsection 87(2.1)

(This step will “ensure that US Parent’s status as a holding company for net worth tax is not jeopardized by the completion of the Proposed Transactions. ...
Ruling summary

2012 Ruling 2011-0425441R3 - Cross Border Butterfly -- summary under Distribution

Preliminarily to this spin-off, an indirect Canadian subsidiary of Foreign Pubco (Canco which is the distributing corporation) will transfer the Canadian business relating to Business B as well as related foreign subsidiaries held directly (Forsub) or through a partnership (Forlp) and a partner thereof (Canco Sub 4) to the transferee corporation (TCo a ULC). ... TCo (through transactions which are heavily redacted see perhaps para. 122) will be indirectly transferred to Foreign Pubco, whereas Canco will become an indirect subsidiary of Foreign Spinco. Indemnity effect on net value of types of property In order to accomplish the butterfly spin-off of Canco's portion of Business B, Canco will first transfer such assets to Newsub under s. 85(1). ...
Ruling summary

2019 Ruling 2018-0762581R3 - Foreign Affiliate Reorganization -- summary under Paragraph 5907(2)(f)

Reg. 5907(5.1) will apply to the disposition by CFA2 of its capital property to CFA1 pursuant to the Proposed Business Transfer (with the summary stating): No gain or loss is recognized on the transfer of the capital assets under the relevant foreign income tax law, and the other conditions in subsection 5907(5.1) are met. ...
Ruling summary

2016 Ruling 2016-0648991R3 - Internal spinoff reorganization of XXXXXXXXXX -- summary under Subsection 85.1(3)

CRA ruled that this double transfer of the ForSub1 shares would not result in those shares not qualifying as capital property: For purposes of subsection 85.1(3), provided that the ForSub1 Common Shares constitute capital property to CanSub1 immediately prior to the transfer of the shares by CanSub1 to CanSub2 the transfer by CanSub1 of the ForSub1 Common Shares to CanSub2 and the subsequent transfer by CanSub2 of such shares to ForSub2 will not, in and by themselves, cause such ForSub1 Common Shares not to be capital property of CanSub2. ...
Ruling summary

2019 Ruling 2018-0758411R3 - Multi-wing split-up net asset butterfly -- summary under Paragraph 186(1)(b)

DC was then to be wound-up into its two shareholders (the TCs) and its sole assets at that time the two redemption notes owing by the two TCs distributed to that TC so that the note was extinguished. ...
Ruling summary

2004 Ruling 2004-0072041R3 - Deferred Shares Unit -- summary under Paragraph 6801(d)

. the Company shall make a payment in cash, to or for the benefit of the Beneficiary of the Participant. ...
Ruling summary

2018 Ruling 2018-0752531R3 - Public corporation election 89(1)(c)(i) -- summary under Paragraph 4800(2)(a)

Position: Yes …. Reasons: The circumstances of this corporation are substantially similar to those in respect of which a favorable ruling was given in 2015-0577141R3, following the liberal interpretation first taken in 2000-0004783. ...
Ruling summary

2019 Ruling 2018-0772921R3 - Loss utilization -- summary under Subsection 1102(14)

More specifically: Aco establishes a new sister to Bco (Newco) to which Aco does an s. 85(1) drop-down of preferred shares of Bco having a fair market value equaling that of the trademarks; Bco spins-off the trademarks to Newco on a partial rollover basis in consideration for prefs of Newco, thereby using Bco’s net capital losses to effect a ½ step-up of the UCC of the trademarks under s. 13(7)(e)(ii) and with Newco licensing the trademarks back to Bco for royalties; The prefs in 1 and 2 above are cross-redeemed (with reliance on the s. 55(3)(a) exception to s. 55(2)); Newco is wound-up under s. 88(1); Aco does an s. 85(1) drop-down of the trademarks back to Bco, but choosing an elected amount so as to uses up its net capital losses and to effect a further ½ step-up of the trademarks' UCC under s. 13(7)(e)(ii). ...

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