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Technical Interpretation - Internal summary

7 February 2018 Internal T.I. 2017-0711961I7 - Withholding on RCA payment to partnership -- summary under Paragraph 153(1)(q)

. Since Schedule I does not address this situation, the Payment is subject to subsection 106(1). ...
Technical Interpretation - Internal summary

17 April 2018 Internal T.I. 2018-0739141I7 - Amending a statute barred partnership return -- summary under Subsection 152(4)

. Whether the Minister agrees to the request would depend on the particular facts of the situation. ...
Technical Interpretation - Internal summary

6 June 2003 Internal T.I. 2003-0183437 - Distributions from non-res trust -- summary under Subsection 104(13)

. The income of the Trust for the XXXXXXXXXX taxation year would be computed under Canadian rules pursuant to section 250.1 and would include the $XXXXXXXXXX dividends received. ...
Technical Interpretation - Internal summary

10 December 2003 Internal T.I. 2003-0047467 F - DESENREGISTREMENT D'UN REER -- summary under Paragraph 106(6)(d)

. [I]f the trust continues to exist after deregistration and the shares of the cooperative are not transferred to the annuitant in the year of deregistration or are transferred in a year subsequent to the year in which subsection 146(12) applies, we are of the view that no withholding tax is required under the application of the provisions of the Act and Regulations since no payment is made on deregistration and in the year of deregistration. ...
Technical Interpretation - Internal summary

27 July 2004 Internal T.I. 2004-0079111I7 F - Actions privilégiées à terme -- summary under Paragraph (b)

. [U]nlike paragraph 251(5)(b), the definition of term preferred share does not contain the exception that applies where one or more of the rights referred to in that provision cannot be exercised at that time because the exercise of the rights in question depends on the death, bankruptcy or permanent disability of an individual. ...
Technical Interpretation - Internal summary

30 September 2004 Internal T.I. 2004-0085051I7 F - Intérêts et indemnité additionnelle -- summary under Income or Loss

. [T]he Court's judgment had the effect of crystallizing the amount receivable and making it payable to the Taxpayer retroactively from the date of the summons. ...
Technical Interpretation - Internal summary

3 November 2004 Internal T.I. 2004-0083791I7 F - Paragraphe 44.1(2) -- summary under Subsection 44.1(8)

3 November 2004 Internal T.I. 2004-0083791I7 F- Paragraphe 44.1(2)-- summary under Subsection 44.1(8) Summary Under Tax Topics- Income Tax Act- Section 44.1- Subsection 44.1(8) pre-condition of carrying on business not satisfied / general overview provided A newly-formed corporation used its cash share subscription proceeds almost entirely to purchase a piece of land for which, to date, a required zoning change has not yet been obtained. ...
Technical Interpretation - Internal summary

2 February 2005 Internal T.I. 2005-0111961I7 F - Reassessment of a Partner -- summary under Subsection 152(1.4)

Regarding whether the Minister could reassess XCO directly to change the partnership income allocated to it, the Directorate stated: [T]he Minister could reassess pursuant to subsection 152(4) at the level of the XCO general partner, in respect of the tax that would be payable by XCO for the Particular Taxation Year, in order to, inter alia, modify the amount of its share of the income from BCOM that was included in the computation of its income without a determination being made at the level of BCOM pursuant to subsection 152(1.4), and without assessments at the level of BCOM partners being made pursuant to paragraph 152(1.7)(b). ...
Technical Interpretation - Internal summary

16 November 2001 Internal T.I. 2001-0097587 F - COPRODUCTION-DROIT D'AUTEUR -- summary under Subsection 1106(12)

The Rulings Directorate ruled that the licence granted by the qualified corporation to the U.K. corporation did not constitute a disposition by it of the copyright in the film or video production (a position which CCRA now confirmed), and also ruled that s. 125.4(4) would not apply if the only investors were the U.K. corporation, the U.K. partnership or the members of that partnership so that the Canadian Film or Video Production Tax Credit would not be denied to the qualified corporation solely because of the above facts. ...
Technical Interpretation - Internal summary

17 January 2019 Internal T.I. 2018-0781041I7 - Non-resident trust ceasing to be deemed resident -- summary under Paragraph 94(2)(t)

CRA stated: [P]aragraph 94(2)(t) applies to expunge the contribution after the time of the sale (i.e., from the time of the sale forward, the contribution is considered to have never occurred). ...

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