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Administrative Policy summary
27 February 2020 CBA Roundtable, Q.24 -- summary under Subsection 179(9)
In response to a suggestion that this Example needed to be reviewed in light of s. 179(9), CRA responded (perhaps on the basis that it continued to consider the non-resident to be required to be registered): The CRA has reviewed the leasing examples in P-051R2 and has determined that the introduction of new subsection 179(9) … does not impact the rationale or carrying on business conclusions in those examples. ...
Administrative Policy summary
GST/HST Memorandum 17-11 [17.11] Determining Whether a Financial Institution is a Qualifying Institution for Purposes of Section 141.02 23 July 2021 -- summary under Bank
. … Under section 1 of the Regulations, a bank is defined for purposes of the Regulations in respect of a fiscal year to not include an insurer. ...
Administrative Policy summary
Income Tax Mandatory Disclosure Rules Consultation: Sample Notifiable Transactions (Finance Release Webpage), 4 February 2022 -- summary under Section 123.3
Income Tax Mandatory Disclosure Rules Consultation: Sample Notifiable Transactions (Finance Release Webpage), 4 February 2022-- summary under Section 123.3 Summary Under Tax Topics- Income Tax Act- Section 123.3 The notifiable transactions designated by CRA pursuant to draft s. 237.4(3) with the concurrence of Finance include: Foreign continuance A corporation holding assets that are or will become investment assets continues from Canada to the corporate laws of a foreign jurisdiction, so that it ceases to be a “Canadian corporation” and a CCPC (so that it is not subject to additional tax under ss. 123.3 and 123.4) – but maintains its central management and control in Canada so that it is not subject to the emigration rules or the foreign accrual property income regime. ...
Administrative Policy summary
25 March 2021 CBA Commodity Taxes Roundtable, Q.4 -- summary under Paragraph (d)
. … The supply of a VPI made to a Canadian resident is subject to the same GST/HST tax treatment regardless of whether the person supplying the VPI was the person that acted as a miner with respect to the issuance of the VPI or is another person involved in the making of a supply of a VPI. ...
Administrative Policy summary
25 March 2021 CBA Commodity Taxes Roundtable, Q.9 -- summary under Subsection 296(2.1)
25 March 2021 CBA Commodity Taxes Roundtable, Q.9-- summary under Subsection 296(2.1) Summary Under Tax Topics- Excise Tax Act- Section 296- Subsection 296(2.1) CRA is required to allow unclaimed rebates when assessing under s. 296 without first requiring the receipt of rebate applications CRA stated that “[w]e confirm and agree with” the presented proposition: [T]hat the effect of s. 296(2.1)(c), as confirmed in the UPS case, is that, provided all the other conditions of s. 296(2.1) are met, unclaimed rebates are to be allowed notwithstanding that the normal rebate application period has not expired, regardless of whether the person claimed a rebate …. ...
Administrative Policy summary
25 March 2021 CBA Commodity Taxes Roundtable, Q.10 -- summary under Subsection 281.1(1)
25 March 2021 CBA Commodity Taxes Roundtable, Q.10-- summary under Subsection 281.1(1) Summary Under Tax Topics- Excise Tax Act- Section 281.1- Subsection 281.1(1) CRA initially imposes instalment interest on VDP-accepted wash transactions “given … system limitations” CRA accepts a voluntary disclosure for a wash transaction, so that the supplier is granted full relief from penalties and reduces the applicable interest rate to 0% for each of the reporting periods that was accepted under the voluntary disclosure. ...
Administrative Policy summary
Modernizing and Strengthening the General Anti-Avoidance Rule, Department of Finance Consultation Paper, 11 August 2022 -- summary under Subsection 245(3)
Modernizing and Strengthening the General Anti-Avoidance Rule, Department of Finance Consultation Paper, 11 August 2022-- summary under Subsection 245(3) Summary Under Tax Topics- Income Tax Act- Section 245- Subsection 245(3) Narrowing “bona fide purpose” It may be appropriate to provide that a “ bona fide purpose” does not include foreign (or provincial) tax savings (contrary to what was suggested obiter by the TCC in Loblaw), and perhaps the same should be done for creditor proofing (whose presence as a purpose may be “particularly difficult for the Crown to confirm or refute” (p. 12). ...
Administrative Policy summary
GST/HST Notice No. 324, Proposed Amendment Addressing Mining Activities in respect of Cryptoassets, February 2023 -- summary under Subsection 188.2(4)
GST/HST Notice No. 324, Proposed Amendment Addressing Mining Activities in respect of Cryptoassets, February 2023-- summary under Subsection 188.2(4) Summary Under Tax Topics- Excise Tax Act- Section 188.2- Subsection 188.2(4) No GST collectible re mining activity (under “Collection of tax”) Subject to the exclusion in proposed subsection 188.2(5) … where a person receives money, property or a service as a fee, reward or payment, or any other form of remuneration, as a consequence of performing a mining activity, the provision of the mining activity is deemed not to be a supply for GST/HST purposes under proposed subsection 188.2(4). ...
Administrative Policy summary
Underused Housing Tax Notice UHTN4 Exemptions for Specified Canadian Partnerships, Trusts and Corporations January 2023 -- summary under Specified Canadian Trust
Since C owns as trustee, C must file a return for the 2022 year – but does not have to pay tax for C’s 100% ownership interest because C owns the property solely as the trustee of a specified Canadian trust. ...
Administrative Policy summary
UHT-2900 Underused Housing Tax Return and Election Form -- summary under Subsection 7(1)
. … You must file an annual return with the Canada Revenue Agency (CRA) on or before April 30 for each residential property that you own on December 31 of the preceding calendar year. ...