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Technical Interpretation - Internal summary

17 February 2014 Internal T.I. 2013-0498121I7 - Follow up to XXXXXXXXXX -- summary under Subsection 116(3)

After finding that there was no exemption for the diplomat in Art. 34 of the Vienna Convention on Diplomatic Relations from the s. 162(7) penalty as the property " was not held on behalf of the sending State as part of the mission," nor was there any exemption for the child, CRA stated that "you may wish to consider exercising discretion in assessing the penalty given that….there was a loss on the property. ...
Technical Interpretation - Internal summary

17 February 2014 Internal T.I. 2013-0498121I7 - Follow up to XXXXXXXXXX -- summary under Subsection 162(7)

After finding that there was no exemption for the diplomat in Art. 34 of the Vienna Convention on Diplomatic Relations from the s. 162(7) penalty as the property " was not held on behalf of the sending State as part of the mission," nor was there any exemption for the child, CRA stated that "you may wish to consider exercising discretion in assessing the penalty given that….there was a loss on the property. ...
Technical Interpretation - Internal summary

19 October 2005 Internal T.I. 2005-0151211I7 - Financing expenses -- summary under Paragraph 20(1)(e.1)

19 October 2005 Internal T.I. 2005-0151211I7- Financing expenses-- summary under Paragraph 20(1)(e.1) Summary Under Tax Topics- Income Tax Act- Section 20- Subsection 20(1)- Paragraph 20(1)(e.1) indirect use test inapplicable to s. 20(1)(e) or (e.1), and “relate solely to year” test not satisfied by lump sum issue fee reimbursement to parent A Co, a public company, issued interest-bearing debentures to arm's length parties, and on-lent the borrowed money to its "great-grandchild" subsidiary (D Co) at the same interest rate. ...
Technical Interpretation - Internal summary

15 March 2013 Internal T.I. 2012-0459281I7 - Exigibility of Registered Education Savings Plans -- summary under Subsection 224(1)

Deloitte & Touche Inc., [2007] 2 C.T.C. 253, 30 C.B.R. (5th) 81, (Sask. ...
Technical Interpretation - Internal summary

25 September 2013 Internal T.I. 2013-0476311I7 F - 93(2), 93(2.01) - Share substituted -- summary under Subsection 248(5)

In this context, the use of the terms "action de remplacement " and "share for which the affiliate share was substituted" in the French and English versions of paragraph 93(2.01)(a) refer to the concept governed by paragraph 248(5) in respect of property that is shares. ...
Technical Interpretation - Internal summary

15 December 2015 Internal T.I. 2014-0560371I7 - Subsection 20(12) deduction -- summary under Subsection 20(12)

. There is a logical connection between the income from ULC and the U.S. taxes paid by Taxpayer because if Taxpayer did not own such shares, no U.S. taxes would have been paid [citing Smidth]. ...
Technical Interpretation - Internal summary

12 July 2007 Internal T.I. 2007-0240681I7 F - Indiens - Cotisations à un RPA -- summary under Paragraph 147.2(4)(a)

The Directorate stated: The fact that employment income from 1979 to 1981 was exempt is not in itself determinative of the taxpayer's entitlement to the paragraph 8(1)(m) deduction in 2006. Consequently the Contributions may be deducted in computing the taxpayer's taxable employment income in 2006 to the extent permitted by subsection 147.2(4). Where an expense relates to both on-reserve and off-reserve income the taxpayer must prorate the expense in question to determine the taxpayer's net employment income that is exempt …. ...
Technical Interpretation - Internal summary

25 September 2013 Internal T.I. 2013-0476311I7 F - 93(2), 93(2.01) - Share substituted -- summary under Subsection 93(2.01)

In this context, the use of the terms "action de remplacement " and "share for which the affiliate share was substituted" in the French and English versions of paragraph 93(2.01)(a) refer to the concept governed by paragraph 248(5) in respect of property that is shares. ...

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