Search - 报销 发票日期 消费日期不一致
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Technical Interpretation - Internal summary
11 October 2013 Internal T.I. 2013-0475761I7 - Deadline for filing a waiver of tax credit – ORDTC -- summary under Subsection 152(4)
11 October 2013 Internal T.I. 2013-0475761I7- Deadline for filing a waiver of tax credit – ORDTC-- summary under Subsection 152(4) Summary Under Tax Topics- Income Tax Act- Section 152- Subsection 152(4) waiver of credit after return due date A corporation filed its original 2011 T2 return somewhat after the filing due date, and then requested an adjustment to amend the return by waiving the full amount of the previously-claimed Ontario Research and Development Tax Credit. ...
Technical Interpretation - External summary
3 June 2014 External T.I. 2014-0518911E5 F - Grand routier / long-haul truck -- summary under Long-haul truck
3 June 2014 External T.I. 2014-0518911E5 F- Grand routier / long-haul truck-- summary under Long-haul truck Summary Under Tax Topics- Income Tax Act- Section 67.1- Subsection 67.1(5)- Long-haul truck weight reference is to loaded weight determined by manufacturer Does the gross vehicle weight rating refer to the loaded capacity and does it include the weight of a trailer? ...
Technical Interpretation - Internal summary
14 March 2013 Internal T.I. 2012-0451131I7 - Trustee's Rights & Obligations under the Act -- summary under Subsection 150(3)
14 March 2013 Internal T.I. 2012-0451131I7- Trustee's Rights & Obligations under the Act-- summary under Subsection 150(3) Summary Under Tax Topics- Income Tax Act- Section 150- Subsection 150(3) Although s. 22 of the Bankruptcy and Insolvency Act requires a trustee to file only the return for the taxation year before the year of bankruptcy, and the return for the year of bankruptcy, s. 164(2.01) of the Act forbids the Minister from paying a refund where returns have not been filed under the Act. ...
Technical Interpretation - External summary
29 April 2015 External T.I. 2014-0532691E5 F - Vente immeuble - syndicat copropriétaire -- summary under Subsection 15(1)
29 April 2015 External T.I. 2014-0532691E5 F- Vente immeuble- syndicat copropriétaire-- summary under Subsection 15(1) Summary Under Tax Topics- Income Tax Act- Section 15- Subsection 15(1) distribution of gain to members of a condominium syndicate gave rise to a shareholder benefit After noting that a community of condominium owners is treated by s. 1039 of the Civil Code as a legal person, and is a corporation, CRA went on to indicate that when such a syndicate sold one of the condominiums at a capital gain and distributed the gain to its members then, as such members were deemed by the definition of “shareholder” in s. 248(1) to be shareholders, such distribution would give rise to a shareholder benefit. ...
Technical Interpretation - External summary
3 March 2015 External T.I. 2014-0540051E5 F - Indiens Intérêts d'une institution hors réserve -- summary under Section 87
3 March 2015 External T.I. 2014-0540051E5 F- Indiens Intérêts d'une institution hors réserve-- summary under Section 87 Summary Under Tax Topics- Other Legislation/Constitution- Federal- Indian Act- Section 87 life annuity purchased off reserve did not qualify An Indian with a redacted connection to a reserve purchased a life annuity for a financial institution off reserve given that there was no financial institution on a reserve within 100 km of him. ...
Conference summary
26 November 2013 Annual CTF Roundtable, 2013-0509061C6 - Part XIII Tax & Standard Convertible Debentures -- summary under Paragraph 214(8)(c)
26 November 2013 Annual CTF Roundtable, 2013-0509061C6- Part XIII Tax & Standard Convertible Debentures-- summary under Paragraph 214(8)(c) Summary Under Tax Topics- Income Tax Act- Section 214- Subsection 214(8)- Paragraph 214(8)(c) interest and premium on standard convertible debenture not participating CRA is not inclined at this time to take the position that standard convertible debentures would in general constitute "excluded debt obligations" pursuant to paragraph 214(8)(c) of the ITA. ...
Technical Interpretation - External summary
5 July 2015 External T.I. 2015-0588201E5 F - Apportez vos appareils personnels / BYOD -- summary under Paragraph 6(1)(b)
5 July 2015 External T.I. 2015-0588201E5 F- Apportez vos appareils personnels / BYOD-- summary under Paragraph 6(1)(b) Summary Under Tax Topics- Income Tax Act- Section 6- Subsection 6(1)- Paragraph 6(1)(b) fixed BYOD allowance not verified against receipts is taxable allowance CRA confirmed its view in 2014-0552731E5 that employees, who were required to use cell phones in the performance of their duties, received a taxable allowance when their employer paid them a fixed monthly amount (calibrated to each employee's duties) not in excess of their costs, given that the employer “did not require detailed receipts.” ...
Conference summary
10 June 2016 STEP Roundtable Q. 4, 2016-0645801C6 - QDT & pref beneficiary election -- summary under qualified disability trust
10 June 2016 STEP Roundtable Q. 4, 2016-0645801C6- QDT & pref beneficiary election-- summary under qualified disability trust Summary Under Tax Topics- Income Tax Act- Section 122- Subsection 122(3)- qualified disability trust preferred beneficiary and QDT elections not mutually exclusive Where, for example, four grandparents each established a trust for their mutual disabled grandchild under their wills, with one of the trusts (after death) now being intended to be a qualified disability trust, CRA confirmed that the designation of that trust as a QDT would not restrict the availability of the preferred beneficiary election for the other three trusts (and the fourth trust could make the preferred beneficiary election even if it had elected to be a QDT). ...
Conference summary
10 June 2016 STEP Roundtable Q. 8, 2016-0634951C6 - U.S. LLPs & LLLPs Classification -- summary under Corporation
LLPs & LLLPs Classification-- summary under Corporation Summary Under Tax Topics- Income Tax Act- Section 248- Subsection 248(1)- Corporation perhaps potential flexibility in applying the transition of LLPs from partnerships to corporations CRA largely repeated its position immediately below in 2016 IFA Roundtable, Q. 1 (as well as indicating that Anson has not changed its views on LLCs). ...
Ruling summary
2016 Ruling 2015-0571441R3 - Dutch Cooperative - 93.2 & 95(2)(c) -- summary under Subsection 93.2(2)
2016 Ruling 2015-0571441R3- Dutch Cooperative- 93.2 & 95(2)(c)-- summary under Subsection 93.2(2) Summary Under Tax Topics- Income Tax Act- Section 93.2- Subsection 93.2(2) membership interest in Dutch cooperative ruled to be shares Before ruling that the contribution of shares of a Netherlands private limited liability company to a newly-formed Dutch cooperative (DC), in consideration for a credit to the membership accounts of the contributing foreign affiliates equal to the FMV of the contribution, was eligible for s. 95(2)(c) rollover treatment, CRA ruled that DC was a corporation for the purposes of the Act, and a non-resident corporation without share capital for purposes of s. 93.2 and that membership interests in DC will be deemed to be shares of a single class by s. 93.2(2). ...