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Technical Interpretation - External summary
21 February 2000 External T.I. 2000-0004915 - FARMLAND-CONV. TO INVENTORY -- summary under Paragraph 45(1)(a)
" … [W]here a farmer, makes application for subdivision, then subdivides the farmland and proceeds to develop it and sell lots, it is our general view that the farmland would be considered to have been converted into inventory at the time of making application to the relevant authority for approval of a plan to subdivide the land into lots for sale. ...
Technical Interpretation - External summary
19 July 2018 External T.I. 2014-0551941E5 F - Déplacement effectué par un employé -- summary under Paragraph 6(1)(b)
After repeating its position that “personal travel includes travel between the employee's home and ‘regular place of employment’,” and noting that “regular place of employment” was described in T4130 as including “a client's premises when an employee reports there daily for a six month project” and “a client's premises if the employee has to attend biweekly meetings there,” and before noting that it could only make general comments, CRA stated: If the place of business of a client of the firm constitutes a "regular place of employment " for the auditor, the travel between the auditor’s residence and the place of business of that client is considered personal travel and is therefore not considered travel "in the performance of the duties of the employee’s office or employment". ...
Technical Interpretation - External summary
4 December 2018 External T.I. 2016-0670851E5 - Regular Places of Employment and Personal Travel -- summary under Paragraph 6(1)(b)
4 December 2018 External T.I. 2016-0670851E5- Regular Places of Employment and Personal Travel-- summary under Paragraph 6(1)(b) Summary Under Tax Topics- Income Tax Act- Section 6- Subsection 6(1)- Paragraph 6(1)(b) scope of “regular place of employment" Respecting requested clarification as to when a particular work location is considered a regular place of employment for an employee, CRA stated: [T]ravel between an employee’s home, including a home office, and a regular place of employment (RPE) is generally considered personal travel …. ...
Technical Interpretation - External summary
26 May 2016 External T.I. 2014-0527251E5 F - Interest Deductibility -- summary under Subparagraph 20(1)(c)(ii)
Before concluding that the interest was deductible under s. 20(1)(c)(ii), CRA referenced its position in Folio S3-F6-C1, para. 1.65 that “where a note is issued to purchase and cancel (or otherwise redeem) shares, interest expense may be deductible under subparagraph 20(1)(c)(ii),” and then stated: In a situation as such described above where there is a capitalization of a portion of a corporation's accumulated profits as stated capital of the preferred shares of the capital stock of the corporation, the CRA is of the view that the "capital" attributable to the preferred shares for the purpose of applying the "fill the hole" concept … generally corresponds to the paid-up capital of the shares. ...
Technical Interpretation - External summary
14 May 2019 External T.I. 2017-0737571E5 - SAR plan with dividend equivalents -- summary under Subsection 6(14)
CRA went on to state: [S]ubsection 6(14) … will not apply to such a plan to provide partial relief from the SDA rules for the main component of the award. ...
Technical Interpretation - External summary
11 June 2019 External T.I. 2019-0795291E5 F - Tax on Split Income - 120.4(1) excluded amount -- summary under Related Business
B's child under s. 252(1)(c) – and they would not otherwise be related. ...
Technical Interpretation - External summary
14 June 2019 External T.I. 2019-0808411E5 - Application of 15(2.4) to home purchase loan -- summary under Paragraph 15(2.4)(e)
CRA responded: [G]enerally … “benefits” are received qua shareholder where that person can significantly influence the corporation’s business policy. ...
Technical Interpretation - External summary
3 July 2019 External T.I. 2018-0781941E5 - Foreign retirement plans (Ireland) -- summary under Paragraph 6(1)(g)
In accordance with Abrahamson … the fact that the original source of funds in a foreign individual retirement plan was a pension plan is not relevant. ...
Technical Interpretation - External summary
12 September 2019 External T.I. 2019-0802301E5 - Annuity purchased from foreign pension -- summary under Subparagraph 56(1)(a)(i)
. … [T]he individual will be considered to have received a pension benefit equal to the fair market value of the annuity contract at the time the individual acquires it and must include this amount in their income under subparagraph 56(1)(a)(i). ...
Technical Interpretation - External summary
27 January 2020 External T.I. 2019-0833061E5 - Discretionary Trust and Safe Income -- summary under Paragraph 55(2.1)(c)
CRA responded: A corporate beneficiary of a trust in respect of which a [s. 104(19)] designation is made is … deemed to have received the dividend for the purposes of section 55 and can benefit from the safe income exception in paragraph 55(2.1)(c). ...