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Miscellaneous severed letter

23 March 1992 Income Tax Severed Letter 9203885 - Non-profit Organization - Union/Management Committee

Ellis Enquiries & Office Examination Sydney District Office ...
Miscellaneous severed letter

21 October 1992 Income Tax Severed Letter 9225365 - Flex Benefit Plans

The amount of a credit that is allocated to an employee is $ 24(1) The employer's contribution to the savings plan is immediately taxable to the employee. ...
Miscellaneous severed letter

14 May 1992 Income Tax Severed Letter 9203565 - Shareholders Agreement and Control

In International Iron & Metal Company Limited v. MNR, [[1972] C.T.C. 242] (72 DTC 6205), a shareholder agreement was not considered relevant to the determination of control. ...
Miscellaneous severed letter

10 March 1992 Income Tax Severed Letter 9202965 - Reserves - Extention of Due Date and Foreclosure

Former IT-436 contains comments in paragraphs 9 & 10 which, although not included in IT-436R due to the introduction of new 5 year time limit restrictions, are still considered relevant in some situations. ...
Miscellaneous severed letter

12 June 1992 Income Tax Severed Letter 9216385 - Co-generation Project Non-recourse Financing

The question and answer was reviewed by John Kurrant, Oil & Gas Specialist on June 12 and he said that he does not have any concerns. ...
Miscellaneous severed letter

19 March 1985 Income Tax Severed Letter A-0930

Saint John Shipbuilding & Dry Dock Co. Ltd. [[1980] C.T.C. 352] (80 DTC 6272 at page 6274). ...
Miscellaneous severed letter

30 October 1989 Income Tax Severed Letter RCT 5-8282

Is the effect of the amendment to paragraph 8l(l)(c) contained in S.C. 1974-75-76 c. 26 to "overturn" the decision of Furness Withy & Co. ...
Miscellaneous severed letter

1 May 1989 Income Tax Severed Letter RCT 5-1243

In these circumstances the 10 Amalco common shares to be received by the Parent corporation would have a cost of $500,010 computed as follows: Cost of Newco share 87(9)(c)(i) 10 $10 Cash + cost amount of other assets $500,010 ACT of Newco share- 87(9)(c)(ii)(A)(11) 10 500.000 $500,010 Since the Parent corporation will own all of the issued shares of the capital stock of Amalco, the fairmarket value of the 10 Amalco common shares to be issued to the Parent corporation will be equal to $1,000,010. ...
Miscellaneous severed letter

22 February 1988 Income Tax Severed Letter RCT 7-2214

Guidelines are given in the CICA Handbook for which level of % shareholdings create a presumption of significant influence or below which level it is presumed that there is not significant influence but these presumptions are subject to rebuttal. ...
Miscellaneous severed letter

18 October 1989 Income Tax Severed Letter RCT 5-8727

More specifically, the reasons for our position are as follows: a) The question posed in the 1980 Round Table made reference to "... a condominium or other residential property located in the United States... held by a Canadian corporation for the occupancy of the corporation shareholder. ...

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