Search - 报销 发票日期 消费日期不一致
Results 3141 - 3150 of 3267 for 报销 发票日期 消费日期不一致
Miscellaneous severed letter
29 June 1989 Income Tax Severed Letter 5-7616 - Non-resident's return to Canada
Your questions and comments are as follows: (1) XXX Your company has advised you that a 30% U.S. withholding tax will be deducted from any interest earned by the plan and that an additional 104 penalty will apply as you have not reached the age of 59 & 1/2. ...
Miscellaneous severed letter
18 October 1989 Income Tax Severed Letter 7-4044 - “Prescribed areas” for certified property
This is the only indication in subsection 4602(1) of the Regulations that favours one census year over the other and as such it should be considered as significant when determining whether the 1971 or the 1976 census divisions are to be used. 5) XXX 6) The fact that subparagraphs 4602(1)(h) & (1) of the Regulations refer to census divisions of Northern Saskatchewan and Peace River while the 1971 and 1976 census maps refer only to the division numbers does not appear to be relevant. ...
Miscellaneous severed letter
7 July 1998 Income Tax Severed Letter 9800643 - Routine deferred profit sharing plan
Through the completion of the Agreement, a Participant will notify the Employer as to the % of his or her current salary to be deferred, the length of time that the Employer will be obligated to reduce his or her salary (the "Deferral Period") and the leave period (the "Leave of Absence"). ...
Miscellaneous severed letter
16 May 1990 Income Tax Severed Letter RRRR385 F - Déductibilité des intérêts pour le nouveau propriétaire
Dans le cas d'une corporation dont l'entreprise principale consiste à louer, à vendre, ou à faire de l'aménagement en vue de louer ou de vendre, des biens immeubles dont elle est propriétaire, à une personne avec laquelle elle n'a aucun lien de dépendance, une déduction additionnelle peut être réclamée par celle-ci pour une année jusqu'à concurrence d'un montant égal à un taux d'intérêt prescrit pour l'année sur un prêt de 1 000 000 $ qui ne serait pas remboursé tout au long de l'année. ...
Miscellaneous severed letter
16 May 1990 Income Tax Severed Letter RRRR339 - Whether certain properties are inventory
As requested, we are returning your materials with this memorandum. for Chief Leasing & Financing Section Rulings Directorate ...
Miscellaneous severed letter
7 July 1991 Income Tax Severed Letter - Tax implications in Canada on the disposition of shares in a United States corporation by a resident of Canada
In order to obtain the status that would permit it to receive deductible gifts, the U.S. organization must apply to Revenue Canada as described in paragraph 76(c) & (e) of Information Circular 77-16R3, a copy of which is attached. ...
Miscellaneous severed letter
7 February 1991 Income Tax Severed Letter - Redemption of Preferred Shares
(London: Stevens & Sons, 1982) c. 33, no 33-06 at 387 states in brief:... ...
Miscellaneous severed letter
7 December 1990 Income Tax Severed Letter - Lease Inducement Payments Received by Tenant
The Queen Lease Inducement Payments Received by Tenant This is in reply to your memorandum of September 26, 1990, in which you requested our views on XXX In this memorandum: (a) “the first Consumers' Gas case” is a reference to, [[1982] C.T.C. 339] 82 DTC 6300 (FCTD), aff'd [] 84 DTC 6058 (FCA); and (b) “the second Consumers' Gas case” is a reference to, [[1986] 1 C.T.C. 380] 86 DTC 6132 (FCTD), aff'd. ...
Miscellaneous severed letter
7 November 1991 Income Tax Severed Letter - Dependant Life Insurance Premiums
In relating these comments to this definition, it states in part, "... a group life insurance policy under which no amount is payable to a person other than the group policy holder... before the death or disability of the taxpayer". ...
Miscellaneous severed letter
7 November 1991 Income Tax Severed Letter - Dissolution as a Result of Amalgamation of Partnerhsip Business Carried on as Sole Proprietorship
If Amalco was a member of the partnership before the particular time, can it be said that "... one, but not more than one, of the persons who were, immediately before the particular time, members of the partnership carries on by himself the business that was the business of the partnership. ...