Search - 报销 发票日期 消费日期不一致
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GST/HST Interpretation
3 May 2022 GST/HST Interpretation 197305 - Véhicule utilisé pour fournir des services de covoiturage commerciaux
Une « voiture de tourisme » est défini au paragraphe 123(1) comme une voiture de tourisme ou une voiture de tourisme zéro émission, au sens du paragraphe 248(1) de la [LIR]. Selon ce paragraphe, une « voiture de tourisme » désigne généralement une « automobile » acquise après le 17 juin 1987. ... Bien que la prestation de services de covoiturage commerciaux soit une « entreprise de taxi » aux fins de la TPS/TVH, il n'était pas clair si un véhicule utilisé pour fournir de tels services était considéré comme un « taxi » dans le contexte de la définition d'automobile dans la LIR. ...
GST/HST Interpretation
9 January 2006 GST/HST Interpretation 55422 - ITC for tax on imported XXXXX
The XXXXX package includes the items delineated in XXXXX to the Tenancy Agreement (attached as Appendix 1 of your submission) and in the "XXXXX Information Package" (attached as Appendix 2), namely: • a specific suite and the property and services indicated in Fact 6, • call-bell monitoring (i.e., a personal emergency response system), • an on-site nurse manager and at least one nurse on duty 24 hours per day to respond to emergency situations, • activity programs tailored to the needs of the Residents, • weekly housekeeping services including a change of bed linens and towels, and • one dinner served daily that takes into consideration special dietary needs of the Residents. 8. The XXXXX package includes the items delineated in XXXXX to the Tenancy Agreement (attached as Appendix 1 of your submission) and in the "XXXXX Information Package" (attached as Appendix 2), namely: • a specific suite and the property and services indicated in Fact 6, • call-bell monitoring, • an on-site nurse manager and at least one nurse on duty 24 hours per day to respond to emergency situations, • activity programs tailored to the needs of the Residents, • administering medication to residents on an as-needed basis, • daily light housekeeping and weekly housekeeping services including a change of bed linens and towels, • assistance with bathing once a week, and • three meals daily (that take into consideration special dietary needs of the Residents) and meals delivered to a Resident's room when authorized by the nursing manager. 9. ... These services are described in XXXXX to the "XXXXX Information Package" (attached as Appendix 2 of your submission) as follows: • assistance with bath or extra bath- $XXXXX/bath, • personal laundry- $XXXXX/load, • more frequent or daily housekeeping- $XXXXX/month, • one extra full clean of a suite per week- $XXXXX/month, • extra assistance for dressing or other personal services- $XXXXX/hour, • escort services to and from the dining room- $XXXXX/month, • extra breakfast plan- $XXXXX/month, • extra lunch plan- $XXXXX/month, and • extra breakfast and lunch plan- $XXXXX/month. ...
GST/HST Interpretation
6 July 2011 GST/HST Interpretation 124097 - Place of Supply Rules and ITC Eligibility
We understand that: • [...] (the "Company") is a GST/HST registered company located in [...] ... The company provides [...] services in [...] for companies importing into Canada. • The Company's clients include GST/HST registered non-resident importers that do not have a physical presence in Canada. ... Yours truly, Carolle Mercier Unité des questions frontalières / Border Issues Unit Division des opérations générales et des questions frontalières / General Operations & Border Issues Division Direction de l'accise et des décisions de la TPS/TVH / Excise and GST/HST Rulings Directorate UNCLASSIFIED ...
GST/HST Interpretation
7 April 2014 GST/HST Interpretation 139981r - Application of the GST/HST to the distribution of private placements by investment dealers
In your letter of [mm/dd/yyyy], you provided a further detailed explanation […] of the responsibilities, role and functions of [the Dealer] in the industry context, an example, a Sample Referral Agreement and enclosed the following additional documentation: * Subscription Agreement between […][ACo] and Investor (the [A] Agreement); * Subscription Agreement between […][BCo], […][CCo] and Investor (the [B] Agreement); * […]. You also referred us to […] copy of the publicly-filed agency agreement between [BCo] and [CCo], […], […] and […] (collectively called the Agents) ([C] Agency Agreement) referred to in the above-noted [B] Agreement. ... [A] Agreement 13. […] [Under the] [A] Agreement […] between [ACo] (the Corporation) and an investor (the Investor)[,] […] the Investor may subscribe to purchase a specific number of shares or warrants of the Corporation. ...
GST/HST Interpretation
14 March 1995 GST/HST Interpretation 11995-1[1] - The Storage of Empty Containers Which Have Been Repositioned Under the
14 March 1995 GST/HST Interpretation 11995-1[1]- The Storage of Empty Containers Which Have Been Repositioned Under the signed 950314 File: 11995-1(DRM) Doc: 100 XXXXX March 14, 1995 Subject: The storage of empty containers which have been repositioned under the XXXXX I refer to your letter of November 17, 1994, to Mr. ... Venne Director Tax Policy- Special Sectors GST Policy & Legislation c.c.: A D'Abramo c.c.: A. ...
GST/HST Interpretation
10 October 1995 GST/HST Interpretation 11925-1[3] - Status Under the GST of Supplies Made by the
10 October 1995 GST/HST Interpretation 11925-1[3]- Status Under the GST of Supplies Made by the Unedited CRA Tags ETA 123(1) business File # 11925-1(EB) Doc.# 1200 Leg. ... Draft policy statement 167 entitled " Meaning of the First Part of the Definition of Business " sets out certain criteria that may be useful in establishing whether an activity will constitute a business. ... This conclusion is based on the following facts: • the XXXXX does not have a fixed address or permanent premises housing its operations; • the XXXXX does not have a telephone listing- persons wishing to contact the organization must contact a member of the XXXXX[;] • the XXXXX does not advertise to the public how it may be contacted- the individuals who are the focus of this organization's activities (i.e., those involved in the XXXXX industry or related businesses) are aware of who the organization's officers are and how to contact them; • there is no full or part time staff- the XXXXX activities are carried on by its XXXXX[;] • at the annual General Meeting of the XXXXX the members of the XXXXX are appointed by the XXXXX of the XXXXX[;] • these members with the exception of the XXXXX and the XXXXX, are automatically terminated at the subsequent annual general meeting; • there is no ongoing office activity carried on at a particular location; • there are no specific day to day activities- members of the XXXXXX carry on activities on behalf of the XXXXX in their own office locations as required; • the XXXXX does not advertise or carry on promotional activities to attract interest in its activities- invitations to the golf tournament are highly prized as only so many are issued. ...
GST/HST Interpretation
23 November 2016 GST/HST Interpretation 165129 - ITC eligibility for company that owns trust units
. / Veuillez prendre note que ce document, bien qu'exact au moment émis, peut ne pas représenter la position actuelle de l'Agence du revenu du Canada. ... [STATEMENT OF FACTS] Based on the […] information provided […], we understand the following: * The Parent is the parent corporation of a complex structure of entities, […]. The Parent owns units of […][Trusts] […]. * […][Information about specific transactions] * […][Specific information about the organizational structure] * We understand that […][the supply of real property to other entities] is a commercial activity for GST/HST purposes. * The […][argument has been made] that [the Parent] provides management services to related entities, and has provided sample invoices which indicate that it provides management services to […][X], however, we have not been provided with any agreements for management services. ...
GST/HST Interpretation
24 March 2000 GST/HST Interpretation 13427 - Tax Status of Psychological Services
Generally, medical reports supplied to third parties that are viewed as being ancillary to an exempt supply of a health care service are those that relate to an individual's present health status for: • insurance medical examinations not relating to claims or settlements; • employment examinations; • pre-placement examinations; • immigration examinations; • executive medical examinations; and • return-to-work examinations. ... Since these professional opinions are not prepared as a result of rendering a health care service to an individual, the following medical reports and opinions are outside the scope of the exempting provisions in Part II of Schedule V to the ETA and are therefore taxable: • opinions provided by health care practitioners under contract with insurance companies and other parties; • reports/opinions prepared as a result of independent insurance medical examinations/assessments that relate to claims and settlements; and • medico-legal reports. ...
GST/HST Interpretation
13 August 2024 GST/HST Interpretation 246538 - Determining if a limited partner of a partnership can claim an ITC
Section [#] of the LPA states that the business of the LP is to acquire real property described in […] the LPA and […]: namely: The lands municipally known as […], having an area of approximately [...] shown as […] on the draft reference plan dated [mm/dd/yyy] prepared by […]. 4. ... The purpose of the [agreement 4] is […](Project Bonus) […]. […]. 22. Section [#] of the [agreement 4] sets out […]Project Bonus […]. 23. ... LP1 claimed ITCs of $[…] on its [mm/yyyy] GST/HST return, which included $[…] from the supplier of accounting services. 33. […]. 34. […]. 35. ...
GST/HST Interpretation
18 June 1997 GST/HST Interpretation HQR0000527[2] - Application of the GST to Supplies of Admissions to Annual Conventions
18 June 1997 GST/HST Interpretation HQR0000527[2]- Application of the GST to Supplies of Admissions to Annual Conventions Unedited CRA Tags ETA 123(1) admission; ETA 222(1); ETA 240(1) Telephone #: (613) 954-5124 Fax #: (613) 990-1233 11690-1(crl) HQR0000527 ss. 123(1), 222(1), 240(1) XXXXX June 18, 1997 This is refers to your facsimile dated January 27, 1997, in which you requested information concerning the registration status of the XXXXX with respect to a convention which was held in Canada in XXXXX[.] Statement of Facts • The District, a resident of Canada, was not (and is not currently) registered for the Goods and Services Tax (GST). • The District holds a convention on an annual basis, hosted by a club in either Canada XXXXX. ... A registration form was subsequently submitted to the Department. • When no reply was received, XXXXX contacted the Tax Services Office (TSO) and requested a ruling in regard to the convention. • XXXXX was advised that the District should charge the GST and a provisional GST registration number was assigned to the District. • The District collected the GST on the convention and the GST was recorded in the accounts, by the auditor. • The TSO sent a letter to the District stating that it was not required to register but neither an explanation nor a ruling accompanied the letter. ...