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Technical Interpretation - External summary
11 October 2005 External T.I. 2005-0148281E5 F - Déductibilité de dépenses -- summary under Legal and other Professional Fees
11 October 2005 External T.I. 2005-0148281E5 F- Déductibilité de dépenses-- summary under Legal and other Professional Fees Summary Under Tax Topics- Income Tax Act- Section 18- Subsection 18(1)- Paragraph 18(1)(a)- Legal and other Professional Fees accounting fees in preparing consolidated financial statements generally deductible In finding that accounting fees related to the preparation by a parent of consolidated financial statements for the group were generally deductible, CRA stated: … IT-99R5 … lists legal and accounting fees for a wide range of ordinary functions. ...
Technical Interpretation - External summary
11 October 2005 External T.I. 2005-0148281E5 F - Déductibilité de dépenses -- summary under Subsection 248(24)
11 October 2005 External T.I. 2005-0148281E5 F- Déductibilité de dépenses-- summary under Subsection 248(24) Summary Under Tax Topics- Income Tax Act- Section 248- Subsection 248(24) s. 248(24) does not affect deductibility of fees for preparing consolidated financials In finding that accounting fees related to the preparation by a parent of consolidated financial statements for the group were generally deductible, CRA stated: … IT-99R5 … lists legal and accounting fees for a wide range of ordinary functions. ...
Technical Interpretation - External summary
20 December 2002 External T.I. 2002-0159365 F - REMUNERATION NON MONETAIRE -- summary under Paragraph 153(1)(a)
. … [T]herefore … a corporation that pays certain of its directors remuneration consisting solely of shares of the corporation would not be required to deduct source deductions on the value of this remuneration in shares. ...
Conference summary
16 August 2022 CPAC Roundtable Q. 10, 2022-0946251C6 - Home Office Expenses -- summary under Subparagraph 8(13)(a)(ii)
16 August 2022 CPAC Roundtable Q. 10, 2022-0946251C6- Home Office Expenses-- summary under Subparagraph 8(13)(a)(ii) Summary Under Tax Topics- Income Tax Act- Section 8- Subsection 8(13)- Paragraph 8(13)(a)- Subparagraph 8(13)(a)(ii) s. 8(13)(a)(ii) does not extend to virtual meetings Regarding the impact of meeting clients in a home virtually, CRA stated: It is the long-standing position of the … CRA … that the term “meeting”, as used in both subparagraph 8(13)(a)(ii) and 18(12)(a)(ii) of the Act includes only face to face encounters. ...
Technical Interpretation - External summary
28 February 2001 External T.I. 2000-0016765 F - All or substantially all -- summary under Clause 110.6(14)(f)(ii)(A)
28 February 2001 External T.I. 2000-0016765 F- All or substantially all-- summary under Clause 110.6(14)(f)(ii)(A) Summary Under Tax Topics- Income Tax Act- 101-110- Section 110.6- Subsection 110.6(14)- Paragraph 110.6(14)(f)- Subparagraph 110.6(14)(f)(ii)- Clause 110.6(14)(f)(ii)(A) all or substantially all test in s. 110.6(14)(f)(ii)(A) is generally but not always a 90% of FMV test Regarding the meaning of the expressions “all or substantially all the assets used in an active business” in ss. 110.6(14)(f)(ii)(A) and 54.2, CCRA stated: FMV is generally the best measure for calculating “all or substantially all of the assets” of a business for the purposes of those provisions …. However … other units of measurement could apply since those provisions of the Act do not state any particular unit of measurement that must be used. ...
Technical Interpretation - Internal summary
22 June 2001 Internal T.I. 2001-0078457 F - Décret remise d'impôt revenu gagné au Québec -- summary under Paragraph (a)
A taxable capital gain from the disposition of a "Canadian resource property" is therefore not included pursuant to subparagraph 115(1)(a)(iii) …. [Furthermore] … it is highly doubtful that the Right can be considered real property …. Article 900 of the Civil Code of Québec, which states that "fruits and other products of the soil may be considered to be movables … when they are the object of an act of alienation,” leads us to believe that the Right would not constitute immovable property but rather movable property. ...
Technical Interpretation - External summary
3 November 2017 External T.I. 2017-0712141E5 F - Borrowing to make interest-free loans -- summary under Subparagraph 20(1)(c)(i)
After referencing the general principle that “interest expense on borrowed money used to make an interest-free loan … may be deductible … where the facts disclose that the money was borrowed for an indirect current use whose purpose was the earning of income from a business or property,” CRA stated: The CRA generally agrees that this is the case where, firstly, the interest-free loan affects the corporation's capacity to earn income and, furthermore, the interest-free loan is granted to a corporation by its sole shareholder or, if there are several shareholders, each shareholder has granted an interest-free loan to the corporation in proportion to the shareholder’s interest in the corporation. ... In this regard, the principles followed in … Canadian Helicopters … could be useful. ...
Conference summary
8 October 2010 Roundtable, 2010-0373241C6 F - Acquisition of Control -- summary under Paragraph 256(7)(d)
CRA responded: [S.] 256(6.1) … is the legislative response to … Parthenon Investments …. ...
Technical Interpretation - Internal summary
20 August 2009 Internal T.I. 2009-0326941I7 F - Intérêts, Taxe sur le capital, déductibilité -- summary under Income-Producing Purpose
After observing that “[p]rovincial income tax is not deductible … since … [it] is not an expense incurred for the purpose of gaining or producing income but rather is an expense incurred because income was earned,” CRA stated: Capital tax is not a tax that is calculated on the income of a business but rather a tax calculated on the paid-up capital of the corporation. ... The 1991Budget of the Department of Finance is consistent with this approach. … Interest on capital tax will be deductible if the capital tax is deductible by virtue of section 9. ...
Technical Interpretation - External summary
19 November 2009 External T.I. 2007-0257251E5 F - Assurance-vie -- summary under Paragraph (d)
. … According to paragraph 148(10)(d), a policyholder is deemed not to have disposed of or acquired an interest in a life insurance policy as a result only of the exercise of any provision of the policy. Generally, the … CRA … considers that the change of beneficiary, in and of itself, does not constitute an amendment that results in a disposition of the life insurance policy. ...