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Miscellaneous severed letter

27 June 1980 Income Tax Severed Letter F

En effet, l'alinéa 69(1)b) se lit comme suit: "... lorsqu'un contribuable a disposé d'un bien en faveur d'une personne avec laquelle il avait un lien de dépendance... ...
Miscellaneous severed letter

23 April 1980 Income Tax Severed Letter

" While it is difficult to impugn this conclusion by reference to the provisions of Regulation 1200 it is obviously inconsistent with the legislative intent of the definition of oil and gas well equipment in regulation 1104 which includes "... equipment... to be used in a gas or oil field in the production therefrom of natural gas or crude oil... ...
Miscellaneous severed letter

1 April 1985 Income Tax Severed Letter

Chief Financial Institutions Section Bilingual Services & Finance Division Corporate Rulings Directorate ...
Miscellaneous severed letter

14 December 1976 Income Tax Severed Letter

Superannuation benefits & R.R.S.P. monthly payments Paragraph 1 of Article XVIII permits Canada to impose a tax on pension benefits arising in Canada and paid to a resident of Belgium. ...
Miscellaneous severed letter

23 February 1988 Income Tax Severed Letter

The Technical Notes released by the Department of Finance in November of 1985 indicated that the provisions of former subsection 84(8) of the Act were "... repealed, as a consequence of the introduction of the new lifetime capital gain exemption, so that dividend treatment will apply. ...
Miscellaneous severed letter

14 April 1983 Income Tax Severed Letter

Harris Appeals & Referrals Division 995-1723 ATTENTION P. Bush RE: 1979 Notice of Objection This is in response to your memorandum dated December 7, 1982 regarding XXXX Notice of Objection relating to the inclusion of storage (lay-away) sales in its income for the 1979 taxation year. ...
Miscellaneous severed letter

13 March 1981 Income Tax Severed Letter

., would be precluded from deducting the moving expenses by subparagraph 62(1)(a)(i) of the Act. (2) & (3) the individual in these situations would not be disqualified for a housing loan provided that he was able to establish that he was ordinarily employed in Canada and was entitled to a deduction under section 62 of the Act. (4) Assuring that this situation refers to a loan made to an individual at the time when he was both resident and employed outside Canada, the loan would not qualify as a housing loan as defined by paragraph 80.4(2) (b) of the Act unless such a loan was made to enable or assist him to acquire a dwelling for his habitation if the acquisition of that dwelling was made in the course of a change in his residence from a place outside of Canada to a place within Canada. ...
Miscellaneous severed letter

15 January 1990 Income Tax Severed Letter 8-0323 - [Parking Benefits]

In contrast, the response to the direct request to define "operating costs" as reported in the Commons Debates of March 10. 1983 was "... this includes gasoline, repairs, insurance and other charges that would be applied against the vehicle to keep it on the road"; a statement which could be used to support the Department's position. ...
Miscellaneous severed letter

18 March 1988 Income Tax Severed Letter 5-5510 F - [880318]

Dans le dictionnaire Law & Commercial Dictionary de West'6 ce terme est défini comme étant: "In contracts, the benefit or advantage which the promisor is to receive from a contract is the inducement for making it. ...
Miscellaneous severed letter

25 October 1989 Income Tax Severed Letter AC58723 - Self-funded Leave Plan

Blackburn, Director Planning & Administration Branch October 25, 1989 Dear Sirs: Re: Proposed Policy on Self-Funded Leave (the "Plan") This is in reply to your letter of September 21, 1989. ...

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