Search - 报销 发票日期 消费日期不一致
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Conference summary
15 May 2024 IFA Roundtable Q. 2, 2024-1007541C6 - Foreign Entity Classification -- summary under Section 96
CRA has viewed a société en commandite simple in France as a partnership, irrespective of whether it has irrevocably elected to be taxed as a corporation in France – and similarly, the recent enactment of reverse hybrid rules in Luxembourg would not be determinative. ...
Conference summary
15 May 2024 IFA Roundtable Q. 2, 2024-1007541C6 - Foreign Entity Classification -- summary under Corporation
CRA has viewed a French société en commandite simple as a partnership, irrespective of whether it has irrevocably elected to be taxed as a corporation in France – and similarly, the recent enactment of reverse hybrid rules in Luxembourg would not be determinative. ...
Technical Interpretation - External summary
2 April 2024 External T.I. 2024-1005231E5 - Directed gifts - official tax receipts -- summary under Total Charitable Gifts
In that case, the municipality is merely acting as a conduit for the other person, and it is our view that amounts received by the municipality on behalf of the other person do not qualify as gifts to a municipality …. ...
Technical Interpretation - External summary
29 May 2024 External T.I. 2019-0819561E5 F - Catégorie d’amortissement 53 de l’Annexe II du Règlement -- summary under Class 53
CRA indicated that the first alternative did not satisfy the requirement, for the equipment to qualify as Class 53 property, that it be used in the manufacturing or processing of goods for sale – as the goods (the dental restorative products) instead were used in providing a dental service. ...
Technical Interpretation - Internal summary
30 July 2024 Internal T.I. 2024-1019041I7 - Conversion from a XXXXXXXXXX -- summary under Disposition
. … In such case, the CRA would generally rely on the relevant foreign corporate or company law and the details of the plan of conversion to determine whether there is a continuity of existence on the Conversion. ...
Technical Interpretation - External summary
21 October 2024 External T.I. 2024-1027501E5 - Stacking of investment tax credits and CCA -- summary under Government Assistance
It claims an Atlantic Investment Tax Credit (“AITC”) pursuant to s. 127(9) of $750,000, being 10% of the capital cost, again reduced to $7,500,000 by the NS CITC “government assistance” – and receives the AITC by way of credit against federal tax payable in the current year or during the carryforward or carryback period. ...
Technical Interpretation - External summary
15 July 2024 External T.I. 2023-0990221E5 - Principal Residence Exemption-Condo parking Spaces -- summary under Principal Residence
. … [I]t is our view that the First Parking Space is a component of the housing unit (i.e., the Condo). ...
Ruling summary
2022 Ruling 2021-0919101R3 - Ruling Letter -- summary under Disposition
However, on the death of Daughter2, ½ of the Fund property had been distributed in accordance with the Fund terms to her issue. ...
Conference summary
10 October 2024 APFF Financial Strategies and Instruments Roundtable Q. 1, 2024-1023641C6 - Intercompany loans and taxable benefits -- summary under Subsection 15(1)
. … Subsection 15(1) could apply, for example, if at the time the loan is made by Aco, the other corporation (“Bco”) is unable to repay the loan and/or provide reasonable security, with the result that the value of Aco would be impaired. ...
Conference summary
10 October 2024 APFF Financial Strategies and Instruments Roundtable Q. 8, 2024-1023591C6 F - NERDTOH and foreign investment income -- summary under Variable B
(a)(i) to (iii) of the definition of NERDTOH in s. 129(4)- always correspond to the foreign tax deduction (FTD) otherwise claimed by the corporation under s. 126(1) in respect of its foreign non-business income, reduced by 8% of the foreign investment income (FII), even if no tax is withheld by the foreign country on such investment income – for example, on the sale of shares of a foreign public company listed on a foreign stock exchange resulting in a capital gain? ...