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Miscellaneous severed letter

12 June 1992 Income Tax Severed Letter 9216605 - Resource industry farmout transactions

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

Income Tax Severed Letter AC58553F F

Pour la directrice Division des services bilingues et des industries d'exploitation des ressources Direction des décisions ` Document Disclosed Pursuant to the Access to Information Act Document Divulgué en vertu de la loi sur l'accès à l'information ...
Miscellaneous severed letter

25 February 1998 Income Tax Severed Letter 9802265 - Deferred salary leave plan

The plan must provide that the salary deferred by the participant in a taxation year, as stipulated under Article 23.01(e), does not exceed 33 1/3 % of the participant's regular annual salary and any related benefit. 3. ...
Miscellaneous severed letter

9 October 1996 Income Tax Severed Letter 9617995 F - Fiducie de protection d'actifs

OPINION JURIDIQUE: N/A RGAE: N/A OPINION DE FINANCE: N/A RÉVISION: N/A JURISPRUDENCE: N/A PUBLICATIONS DE RCI: ENTETE "DOCUMENT KEY": 5 ENTETE "DATABASE": 1 ENTETE LIGNE SUJET: Papillon et fiducie de protection d'actifs DOSSIER SUJET: HAA: 5102-3-1 Samson Bélair Deloitte & Touche Comptables agréés 5-961799 4 Place Laval, bureau 500 Robert Gagnon Laval (Québec) H7N 5Y3 A l'attention de M. ...
Miscellaneous severed letter

4 October 1996 Income Tax Severed Letter 9625795 - Child care component of fees paid to private school

PRINCIPAL ISSUES: determining the child care component of fees charged by a private school POSITION: question of fact, no % guidelines, but amounts paid for after& before school care will ordinarily qualify as well as the actual per student cost of lunchtime supervision, with respect to kindergarten, no amount of the fees for the educational program qualify even if the program offered is full day rather than half day but if a separate child care program is provided to ensure full day supervision, the amount paid for the separate child care program will qualify REASONS: 63(3) def'n of child care specifically excludes education costs and board 962579 XXXXXXXXXX A. ...
Miscellaneous severed letter

16 November 1995 Income Tax Severed Letter 9529036 - Meaning of “readily available”

16 November 1995 Income Tax Severed Letter 9529036- Meaning of “readily available” Unedited CRA Tags 118.2(4), 118.2(2)(g) $$$ Please note that the following document, although believed to be correct at the time of issue, may not represent the current position of the Department. ...
Miscellaneous severed letter

7 July 1996 Income Tax Severed Letter 9617433 - Employee/shareholder stock options

POSITION: Received by virtue of employment & taxable under 7(1.1) and 7(1)(a). ...
Miscellaneous severed letter

26 May 1998 Income Tax Severed Letter 980811A - PEIB insert: interest on Workers' Compensation Board

David Duff Income Tax Rulings & Interpretations Directorate May 26, 1998 980811-8 Janice L. ...
Miscellaneous severed letter

11 April 1997 Income Tax Severed Letter 9701097 - Retroactivity of amended court order

Oulton Section Chief Business, Property & Employment Section II Business and Publications Division Income Tax Rulings and Interpretations Directorate Policy and Legislation Branch ...

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