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Technical Interpretation - External summary

22 February 2016 External T.I. 2014-0525681E5 - Taxation of inherited pension plan payment -- summary under Article 18

Internal Revenue Code (footnote 1 [Section 691(c)(1) provides that a person who includes an amount of income in respect of a decedent (“IRD”) in gross income under § 691(a) is allowed as a deduction, for the same taxable year, a portion of the estate tax paid by reason of the inclusion of that IRD in the decedent’s gross estate]), such excluded amount would not be taxable in Canada and may be deducted by the Canadian resident taxpayer in computing his taxable income in accordance with subparagraph 110(1)(f)(i). ...
Conference summary

21 January 2016 Roundtable, 2016-0624811C6 F - Employee Assistance Program -- summary under Subparagraph 6(1)(a)(iv)

. [T]he services of the employee assistance program that are counseling or advice respecting areas other than those specified in clauses (A) and (B) of subparagraph 6(1)(a)(iv), would not come within the exception provided by paragraph 6(1)(a)(iv). ...
Ruling summary

2015 Ruling 2014-0541951R3 - Foreign Affiliate Debt Dumping -- summary under Subparagraph 212.3(9)(b)(ii)

The Distribution will be considered to be received as a dividend in respect of a class of shares of capital stock of FA1 by the Taxpayers (Canco7, 8 and 9) for the purposes of s. 212.3(9)(b)(ii) A(B). ...
Technical Interpretation - External summary

4 May 2016 External T.I. 2016-0634551E5 - Ss 191(4) and PAC -- summary under Subsection 191(4)

. [T]he CRA accepts that the shares being the subject to the potential operation of a [separate] PAC will not, in and of itself, negate the amount that was specified for the purposes of subsection 191(4). ...
Conference summary

26 May 2016 IFA Roundtable Q. 3, 2016-0642111C6 - PUC of Shares of a FC Reporter -- summary under Canadian Tax Results

Shareholder would have to maintain that PUC balance in for the purposes of determining its CTRs. ...
Technical Interpretation - External summary

14 June 2016 External T.I. 2016-0647951E5 - Exempt Foreign Trust -- summary under Paragraph (d)

. [W]hen a foreign trust grants funds to other organizations…the recipient organization would have to be considered “charitable” according to Canadian common law.... ...
Technical Interpretation - External summary

13 July 2016 External T.I. 2013-0478961E5 F - Interest in a family farm or fishing partnership -- summary under Interest in a Family Farm or Fishing Partnership

.), also owned 100% by them, which used the land exclusively in its farming business for the first 11 of the 20 years that the land was held by the partnership but, then, apparently ceased operations. ...
Technical Interpretation - External summary

14 August 2012 External T.I. 2012-0450041E5 F - subsection 55(4) -- summary under Subsection 55(4)

. Thus, subsection 55(2) would not apply in the situation described above to the extent that none of the occurrences set out in subparagraphs 55(3)(a)(i) to 55(3)(a)(v) occurred as part of a transaction or event or a series of transactions or events as a part of which the dividend was received. ...
Technical Interpretation - External summary

27 November 1998 External T.I. 9822835 - FOREIGN AFFILIATES - FOREIGN ACCRUAL TAX -- summary under Foreign Accrual Tax

. [I]t is a question of fact what portion of the total U.S. income tax paid by Usco1 under the Code for its taxation year ended December 31, 1997 is attributable to its share of the income of US LLC for that year. ...
Conference summary

7 October 2016 APFF Roundtable Q. 2, 2016-0652841C6 F - Changement partiel d’usage - immeuble locatif et résidentiel -- summary under Paragraph 45(1)(c)

. In the described situation, although each of the building's units was subject to a change of use in Year 11, the relation between the use regularly made by the taxpayer of the property for gaining or producing income and the use regularly made of the property for other purposes did not change during the year. ...

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