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Technical Interpretation - Internal

27 June 2006 Internal T.I. 2006-0174191I7 - Partnership Wind-Up and Resource Expenditures

Robin Maley for Director Business and Partnerships Division Income Tax Rulings Directorate Legislative Policy & Regulatory Affairs Branch ENDNOTES 1 We note that clause 53(2)(c)(ii)(C) of the Act provides for a reduction in computing a partner's adjusted cost base of their Partnership interest at any particular point in time by an amount in respect of each fiscal period of the Partnership ending before that time, equal to that partner's share of the CEE, if any, incurred by the Partnership in the fiscal period. ...
Technical Interpretation - Internal

13 April 2005 Internal T.I. 2004-0109071I7 F - Partie XIII et revenus locatifs

Lorsque le propriétaire du condo est une personne non-résidente, XXXXXXXXXX effectue une retenue d'impôt de la Partie XIII à l'égard du montant effectivement versé au propriétaire, soit XXXXXXXXXX% ou XXXXXXXXXX % du revenu net de location. ...
Technical Interpretation - Internal

12 September 2005 Internal T.I. 2005-0143901I7 - interaction of 94(1)(c) and 104(21) and 116(1)

Murphy Section Manager for Division Director International & Trusts Division Policy and Planning Branch Policy and Legislation Branch?? ...
Technical Interpretation - Internal

11 December 1998 Internal T.I. E9828647 - PARAGRAPH 18(1)(A)

Lee Workman Manager Financial Institutions Section Financial Industries Division Income Tax Rulings and Interpretations Directorate Policy & Legislation Branch Attachments ...
Technical Interpretation - Internal

22 December 1998 Internal T.I. E9832947 - ROTH IRA, CANADIAN TAX ISSUES

Position The Department of Finance has announced in its Press Release # 98-129 dated December 18, 1998 that amounts that are required to be included in an individual’s income under the I.R. ...
Technical Interpretation - Internal

17 April 1997 Internal T.I. 9703377 - CONSUMER BASED LOAN

" In particular the provisions were set forth in the principle clauses as follows: "2.Notwithstanding the rate of interest in the said Mortgage provided, when there is no default under the said Mortgage, the interest payable and to be paid by the Mortgagor shall be, where mortgage payments are fully adjusted to fluctuations in the average commodity price or index, 6% per annum calculated half yearly, not in advance, or where mortgage payments are not so fully adjusted to such fluctuations,_ % per annum calculated half yearly, not in advance. 5. ...
Technical Interpretation - Internal

10 June 1997 Internal T.I. 9635106 - INDIAN - CONSULTING BUSINESS

Brooks Small & Medium Business 957-8953 erprises Division Attention: Luisa Guyan 963510 XXXXXXXXXX This is in reply to your request of October 18, 1996 in which you requested our views on the taxability of business income earned by XXXXXXXXXX (the "Taxpayer") from his consulting business. ...
Technical Interpretation - Internal

10 June 1997 Internal T.I. 9708237 - NURSING HOMES IN BC LICENSED AS PRIVATE HOSPITALS

Chouinard A/Section Chief Business, Property & Employment Section Business and Publications Division Income Tax Rulings and Interpretations Directorate Policy and Legislation Branch ...
Technical Interpretation - Internal

3 July 1997 Internal T.I. 9706767 - TRANSFER RPP TO RRSP EXCESS AMOUNT

Subparagraph 147.3(13.1)(b)(i) states "... all amounts each of which is an amount that was... ...
Technical Interpretation - Internal

30 July 1997 Internal T.I. 9717896 - CHILD SUPPORT - NEW RULES

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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