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Technical Interpretation - Internal
24 August 1993 Internal T.I. 9315817 F - 93(1) Election - Shares With No Dividend Entitlement
We disagree with the comment by the taxpayer's representative that in the hypothetical circumstances described in paragraph 5902(1)(b) of the Regulations, " XXXXXXXXXX". ...
Technical Interpretation - Internal
25 August 1993 Internal T.I. 9311117 F - Payments to Self-Employed Caregivers in BC
25 August 1993 Internal T.I. 9311117 F- Payments to Self-Employed Caregivers in BC Unedited CRA Tags 81(1)(h) SURREY TAXATION CENTRE Personal and General Taxpayer Services Section Attention: Pat Betts Payments to Caregivers in British Columbia We are replying to your memorandum of April 15, 1993 concerning the taxation of payments made to independent contractors caring for developmentally handicapped adults in British Columbia. ...
Technical Interpretation - Internal
1993 Internal T.I. 9324587 F - Rights or Things; Bad Debts
With respect to the corporation owned by the deceased's parents we are not sufficiently aware of the facts surrounding the outstanding advance of $ XXXXXXXXXX and the estate's failure to repay the amount to the corporation to forcefully offer an opinion. ...
Technical Interpretation - Internal
10 March 1995 Internal T.I. 9501456 - 115(1)(E) (HAA 6815-4)
You further indicated that ¶2601 of the book titled "Preparing Your Income Tax Return" written by Arthur Andersen & Co., Chartered Accountants, states that "a business loss from a year of residence may not be applied in a year of non-residence... ...
Technical Interpretation - Internal
1 May 1995 Internal T.I. 9502906 - 50% FUNDING RULE AND EXCESS RPP CONTRIBUTIONS
Where a provincial act applies instead of the PBSA, it will depend on the provisions of that particular act. for Director Financial Industries Division Income Tax Rulings and Interpretations Directorate Policy & Legislation Branch ...
Technical Interpretation - Internal
24 May 1995 Internal T.I. 9505086 - ART XI(3)(e) Canada-U.S. Income Tax Convention
Senécal Appeals & Referrals Division (613)957-9796 Headquarters-Appeals Directorate Attention:Neil Wilson 950508 XXXXXXXXXX This is in reply to your memorandum of February 23, 1995, wherein you request our comments regarding the income tax implications arising out of the following fact situation: XXXXXXXXXX is a United States corporation which is not resident in Canada for the purposes of Part I of the Income Tax Act (the "Act"). ...
Technical Interpretation - Internal
7 June 1995 Internal T.I. 9413016 - EMERGENCY HOME FOR CHILDREN IN CARE OF SOCIAL SERVICES
Her home is maintained for the use of up to 4 foster children & thus the income is exempt June 7, 1995 VANCOUVER TAX SERVICES HEADQUARTERS Audit Division A. ...
Technical Interpretation - Internal
6 June 1995 Internal T.I. 9502987 - WORK SPACE IN THE HOME
Item # 10(a) of the prescribed form T2200 simply asks the employer whether the employee was required under a contract of employment to use a portion of his or her home. ...
Technical Interpretation - Internal
10 August 1995 Internal T.I. 9507937 - TUTORING COSTS AS A MEDICAL EXPENSE
Principal Issues: whether fees paid to a tutor qualify as a medical expense Position TAKEN: no Reasons FOR POSITION TAKEN: cost of tutor not elibigle for tution or medical expense tax credit in certain circumstances, 118.2(2)(e) provides for care & training at a school, institution or other place but using the principle of ejusdem generis, the home of a tutor will not qualify as an "other place" August 10, 1995 Ottawa Tax Services Headquarters Client Assistance Division A. ...
Technical Interpretation - Internal
28 July 1995 Internal T.I. 9513397 - CLERGYMAN'S DEDUCTION - RELIGIOUS ORDER
Principal Issues: whether the taxpayer was entitled to a deduction under para 8(1)(c), & more particularly whether the organization which appointed him was a religious order Position TAKEN: no Reasons FOR POSITION TAKEN: question of fact: the organization in question is more a non-profit organization with humanitarian objectives then a religious denomination July 28, 1995 Toronto Centre Tax Services HEADQUARTERS Appeals D. ...