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Ruling

2022 Ruling 2022-0941201R3 - Loss consolidation arrangement

XXXXXXXXXX 2022-094120 XXXXXXXXXX, 2022 Dear XXXXXXXXXX: Re: Advance Income Tax Ruling Loss Consolidation Arrangement (2022-094120) XXXXXXXXXX This is in reply to your letter dated XXXXXXXXXX, as amended XXXXXXXXXX, in which you requested an advance income tax ruling (the “Ruling”) on behalf of the above named taxpayers (the “Taxpayers”). ...
Ruling

2024 Ruling 2022-0948081R3 - Loss Consolidation Arrangement

The estimated tax refund of federal and provincial income taxes to Profitco 1 as a result of the Proposed Transactions is as follows (all amounts are in $ XXXXXXXXXX): XXXXXXXXXX 39. ...
Ruling

30 November 1996 Ruling 9729323 - DPS

The TSO, taxation centre ("TC"), and the Revenue Canada account number ("RCT #") of the various members of XXXXXXXXXX are as follows: Corporation TSO\TC RCT # XXXXXXXXXX 11. ...
Ruling

2013 Ruling 2013-0475681R3 - Family holding butterfly transaction

These shares were subsequently transferred to the Senior Trust – an alter ego trust. ...
Ruling

2013 Ruling 2011-0395091R3 - MFC to MFT Conversion

Provided that immediately after the Proposed Transactions REIT # 1 shall own all of the assets that Taxpayer previously owned, directly or indirectly, immediately before the Proposed Transactions, the provisions of subsections 15(1), 56(2), 56(4), 69(1), 69(4), 105(1) and 246(1) will not apply as a result of the Proposed Transactions, in and by themselves. ...
Ruling

2010 Ruling 2009-0329601R3 - Multi-wing Split-up Butterfly

The FMV of the marketable security portfolio held by DC is approximately $XXXXXXXXXX and of that, over XXXXXXXXXX % represents shares held in the capital stock of Investco A, Investco B, and Investco C. 2. ...
Ruling

2006 Ruling 2006-0178401R3 - 132.2 reorganization of a mutual fund trust

2006 Ruling 2006-0178401R3- 132.2 reorganization of a mutual fund trust Unedited CRA Tags 132.2 97(2) 85(1) 253.1 Principal Issues: Reorganization of an existing mutual fund trust, trust- on-corporation structure to a trust-on-partnership structure using rollovers available under s. 85, s.97 and 132.2; Additional issues encountered include deductibility of interest; debt forgiveness; acb of partnership interest & status of the mutual fund trust. ...
Ruling

2006 Ruling 2006-0182211R3 - Public company spin-off

The fair market value, immediately before the Spin-off described in Paragraph 59, of each Participant's shares of the capital stock of Spinco will be equal to the amount determined by the formula: (A x B/C) + D as set out in subparagraph (b)(iii) of the definition "permitted exchange" in subsection 55(1). ...
Ruling

2006 Ruling 2006-0190311R3 - Reorganization of a mutual fund trust - s. 132.2

Yours truly, XXXXXXXXXX Section Manager For Division Director International & Trusts Division Income Tax Rulings Directorate Legislative Policy and Regulatory Affairs Branch ...
Ruling

2006 Ruling 2006-0195411R3 - Income Trust Reorganization

On XXXXXXXXXX, HLP and HOLDCO closed a debt private placement with a third party for $XXXXXXXXXX in senior secured long term debt at a fixed rate of interest of XXXXXXXXXX %. ...

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