Search - 辐射监测仪 校准

Results 501 - 510 of 3379 for 辐射监测仪 校准
Technical Interpretation - Internal summary

28 May 2013 Internal T.I. 2013-0476381I7 - Deemed Resident Trusts & Foreign Tax Credit -- summary under Paragraph 94(3)(b)

28 May 2013 Internal T.I. 2013-0476381I7- Deemed Resident Trusts & Foreign Tax Credit-- summary under Paragraph 94(3)(b) Summary Under Tax Topics- Income Tax Act- Section 94- Subsection 94(3)- Paragraph 94(3)(b) A trust was settled in the U.S. with marketable securities having an adjusted cost base and fair market value of $100,000. ...
Technical Interpretation - Internal summary

30 September 2013 Internal T.I. 2012-0439661I7 - Income earmarked for future use & 95(2)(a)(i) -- summary under Subparagraph 95(2)(a)(i)

30 September 2013 Internal T.I. 2012-0439661I7- Income earmarked for future use & 95(2)(a)(i)-- summary under Subparagraph 95(2)(a)(i) Summary Under Tax Topics- Income Tax Act- Section 95- Subsection 95(2)- Paragraph 95(2)(a)- Subparagraph 95(2)(a)(i) funds earmarked for future projects of sister affiliates A CFA of Canco held funds generated from projects which were owned and operated by FA1, with the funds being "earmarked" for future investment in projects to be carried out by other CFAs of Canco. ...
Technical Interpretation - Internal summary

16 November 2015 Internal T.I. 2015-0598491I7 - 91(5) & FAPI included per “old” 94(1)(c)(i)(C) -- summary under Subsection 91(5)

16 November 2015 Internal T.I. 2015-0598491I7- 91(5) & FAPI included per “old” 94(1)(c)(i)(C)-- summary under Subsection 91(5) Summary Under Tax Topics- Income Tax Act- Section 91- Subsection 91(5) upward ACB adjustment to the CFA occurring as a result of recognized FAPI under the old s. 94(1) rules represented basis that could be distributed while the trust was subject to the new s. 94(3) trust rules A non-resident discretionary trust (“NRT”) owned all the shares of CFA. ...
Technical Interpretation - External summary

28 September 2006 External T.I. 2006-0197841E5 F - Shareholders agreement & 256(1.4) -- summary under Paragraph 256(1.4)(a)

28 September 2006 External T.I. 2006-0197841E5 F- Shareholders agreement & 256(1.4)-- summary under Paragraph 256(1.4)(a) Summary Under Tax Topics- Income Tax Act- Section 256- Subsection 256(1.4)- Paragraph 256(1.4)(a) s. 256(1.4) technically applies where each 25% shareholder has an obligation to acquire shares of another shareholder offering its shares Four unrelated individuals (A, B, C and D) each hold 25% of the shares (being common shares) of Opco through their respective wholly-owned holding companies (Aco, Bco, Cco and Dco). ...
Technical Interpretation - External summary

17 January 2007 External T.I. 2005-0152601E5 F - Politique d'application RS & DE 1996-02 -- summary under Paragraph 37(1)(a)

17 January 2007 External T.I. 2005-0152601E5 F- Politique d'application RS & DE 1996-02-- summary under Paragraph 37(1)(a) Summary Under Tax Topics- Income Tax Act- Section 37- Subsection 37(1)- Paragraph 37(1)(a) LGL and Tigney pro rata approach to in-Canada requirement What was the impact of the LGL decision (99 DTC 675, aff’d [2000] FCA No. 166) on Case C of Application Policy 1996-02- Testing and Studies Required to Meet Requirements in Regulated Industries, which read: The testing or engineering is performed in Canada to meet regulatory requirements, but the project is conducted outside Canada. ...
Ruling summary

2018 Ruling 2017-0711071R3 - Use of subsidiary losses & ITCs after wind-up -- summary under Paragraph 88(1.1)(b)

2018 Ruling 2017-0711071R3- Use of subsidiary losses & ITCs after wind-up-- summary under Paragraph 88(1.1)(b) Summary Under Tax Topics- Income Tax Act- Section 88- Subsection 88(1.1)- Paragraph 88(1.1)(b) streamed losses of empty-shell Lossco flowed through on its dissolution as Lossco LP business had been acquired years earlier through sub LP Acquisition of Lossco business Subsequently to a CCAA filing by Lossco and members of its group, Taxpayer (a wholly-owned subsidiary of a Luxembourg company held by a group of (perhaps U.S.) investors), as limited partner, and its wholly-owned subsidiary, as GP, formed Lossco Business LP, which then acquired the business (the "Lossco Business”) of Lossco pursuant to the “Asset Sale Agreement”. ...
Conference summary

7 June 2019 STEP Roundtable Q. 7, 2019-0798321C6 - Income Author / Musician -- summary under Specified Investment Business

7 June 2019 STEP Roundtable Q. 7, 2019-0798321C6- Income Author / Musician-- summary under Specified Investment Business Summary Under Tax Topics- Income Tax Act- Section 125- Subsection 125(7)- Specified Investment Business royalty income from a music composing business is active business income Gagliese Productions found that royalty income of an author/musician was income from services because the person who derived the income was earning the income in the normal course of his business. ...
Technical Interpretation - External summary

17 January 2020 External T.I. 2017-0685341E5 - Tax Comparison of the FIT & Net Metering Programs -- summary under Subsection 1100(25)

17 January 2020 External T.I. 2017-0685341E5- Tax Comparison of the FIT & Net Metering Programs-- summary under Subsection 1100(25) Summary Under Tax Topics- Income Tax Regulations- Regulation 1100- Subsection 1100(25) application of exception to the specified energy property rules to equipment used in the Ontario Feed-in Tariff program Under the Feed-in Tariff and microFIT programs (the “FIT/micro-FIT Programs”) administered by the Ontario Power Authority (the “OPA”), a participant contracts with the OPA to supply the electricity generated from approved renewable energy project to the provincial electricity distribution system at a charge for each kWh of electricity generated regardless of whether electricity is subsequently consumed by the participant. ...
Ruling summary

2020 Ruling 2019-0799981R3 - Disposition – Reclassification and Stock Split -- summary under Disposition

2020 Ruling 2019-0799981R3- Disposition Reclassification and Stock Split-- summary under Disposition Summary Under Tax Topics- Income Tax Act- Section 248- Subsection 248(1)- Disposition a simultaneous consolidation of 7 identical series of common shares into 1 series, and a stock split, did not effect a disposition Current structure USco is a US-resident corporation that is subject to tax in Canada and the US (in each case, as a regarded corporation). ...
Technical Interpretation - Internal summary

18 May 2022 Internal T.I. 2018-0788761I7 F - Amortissement – Travaux sur un bien loué et F&T -- summary under Paragraph 8(b)

18 May 2022 Internal T.I. 2018-0788761I7 F- Amortissement Travaux sur un bien loué et F&T-- summary under Paragraph 8(b) Summary Under Tax Topics- Income Tax Regulations- Schedules- Schedule II- Class 8- Paragraph 8(b) property does not satisfy the “solely” test in Class 8(b) where it was necessary for the proper functioning of the building The taxpayer, which subleased premises containing “Shells” consisting essentially of foundations, walls and roofs, installed wall and floor coverings and performed electrical, ventilation and plumbing work to make the premises suitable for use in its manufacturing and processing (“M&P”) operations. ...

Pages