Search - 阿里拍卖 司法拍卖
Results 131 - 140 of 1641 for 阿里拍卖 司法拍卖
Technical Interpretation - External summary
13 May 1998 External T.I. 9718325 - 104(13.1) & 104(18) -- summary under Subsection 104(13.1)
13 May 1998 External T.I. 9718325- 104(13.1) & 104(18)-- summary under Subsection 104(13.1) Summary Under Tax Topics- Income Tax Act- 101-110- Section 104- Subsection 104(13.1) "Subsection 104(13.1) permits a trust to deduct less than the full amount of its income payable to a beneficiary and thus choose to have that income taxed at the trust level rather than the beneficiary level.... ...
Technical Interpretation - External summary
1 September 1994 External T.I. 9413775 - ELIGIBLE PROPERTY & CUM DIVIDENDS -- summary under Property
1 September 1994 External T.I. 9413775- ELIGIBLE PROPERTY & CUM DIVIDENDS-- summary under Property Summary Under Tax Topics- Income Tax Act- Section 248- Subsection 248(1)- Property right to accrued dividends is not separate property from the shares In finding that the right to accrued but undeclared dividends was not a separate eligible property from the preferred shares on which they had accrued, Revenue Canada stated: The right to accrued cumulative dividends would be just one of the bundle of rights that would be attached to a particular share.... ...
Technical Interpretation - External summary
30 June 1994 External T.I. 9412365 - PREFERRED BENEFICIARY ELECTION & CAPITAL GAINS -- summary under Subsection 2800(3)
30 June 1994 External T.I. 9412365- PREFERRED BENEFICIARY ELECTION & CAPITAL GAINS-- summary under Subsection 2800(3) Summary Under Tax Topics- Income Tax Regulations- Regulation 2800- Subsection 2800(3) Respecting a situation in which the beneficiaries of a trust established by a father were the grandchildren, children and the mother, and income could be distributed at the discretion of the trustees to the mother, the children or the grandchildren in amounts decided by the trustees, RC noted that where Regulation 2800(3)(e) applies, the discretionary share of the spouse (i.e., mother) is 100% of the accumulating income (which would include taxable capital gains) regardless of the fact that there are other income and capital beneficiaries, and that she is not a capital beneficiary. ...
Technical Interpretation - External summary
30 January 1995 External T.I. 9430685 - RRSP QUALIFIED INVESTMENTS - PUTS & CALLS -- summary under Subsection 146(10)
30 January 1995 External T.I. 9430685- RRSP QUALIFIED INVESTMENTS- PUTS & CALLS-- summary under Subsection 146(10) Summary Under Tax Topics- Income Tax Act- Section 146- Subsection 146(10) Where cash is deposited as margin with a broker then, notwithstanding that such deposit would not be a qualified investment under s. 204(e)(i), s. 146(10) will not be applied to the annuitant if the transaction is concluded within a few days. ...
Technical Interpretation - External summary
3 March 1995 External T.I. 9427115 - "transfer"? Dad invests $ in "trust" a/c for KIDS -- summary under Subsection 74.1(2)
Dad invests $ in "trust" a/c for KIDS-- summary under Subsection 74.1(2) Summary Under Tax Topics- Income Tax Act- Section 74.1- Subsection 74.1(2) The word "transfer" means to "divest, deprive or dispossess of title". ...
Technical Interpretation - External summary
31 March 1995 External T.I. 9430115 - interest in a family farm partnership & capital gains RESERVE -- summary under Subparagraph 40(1)(a)(iii)
31 March 1995 External T.I. 9430115- interest in a family farm partnership & capital gains RESERVE-- summary under Subparagraph 40(1)(a)(iii) Summary Under Tax Topics- Income Tax Act- Section 40- Subsection 40(1)- Paragraph 40(1)(a)- Subparagraph 40(1)(a)(iii) A reserve may not be claimed where an individual transfers property to a partnership pursuant to s. 97(1) and receives as consideration a promissory note payable over five years. ...
Technical Interpretation - External summary
20 December 1995 External T.I. 9526825 - ENTRY FEE PAYMENTS & WITHHOLDING TAX -- summary under Paragraph 212(1)(d)
20 December 1995 External T.I. 9526825- ENTRY FEE PAYMENTS & WITHHOLDING TAX-- summary under Paragraph 212(1)(d) Summary Under Tax Topics- Income Tax Act- Section 212- Subsection 212(1)- Paragraph 212(1)(d) Discussion of factors bearing on whether surface lease payments are on account of capital (e.g., lump sum payments received as compensation for injurious affection of land that are treated as proceeds of disposition for purposes of s. 115(1)(b)(i)) or on account of income (subject to withholding tax under s. 212(1)(d)). ...
Technical Interpretation - External summary
20 December 1995 External T.I. 9526825 - ENTRY FEE PAYMENTS & WITHHOLDING TAX -- summary under Real Estate
20 December 1995 External T.I. 9526825- ENTRY FEE PAYMENTS & WITHHOLDING TAX-- summary under Real Estate Summary Under Tax Topics- Income Tax Act- Section 9- Capital Gain vs. ...
Technical Interpretation - External summary
18 December 2001 External T.I. 2001-0073925 - Paragraph 88(1)(e.2) & Subsection 186(5)186(5) -- summary under Subsection 186(5)
18 December 2001 External T.I. 2001-0073925- Paragraph 88(1)(e.2) & Subsection 186(5)186(5)-- summary under Subsection 186(5) Summary Under Tax Topics- Income Tax Act- Section 186- Subsection 186(5) "While subsection 186(5) does not specifically refer to paragraph 88(1)(e.2) it is our view that such reference is not necessary. ...
Technical Interpretation - External summary
1 May 2002 External T.I. 2002-0133145 F - RAP - BAIL & ACTIONS -- summary under Qualifying Home
1 May 2002 External T.I. 2002-0133145 F- RAP- BAIL & ACTIONS-- summary under Qualifying Home Summary Under Tax Topics- Income Tax Act- Section 146.01- Subsection 146.01(1)- Qualifying Home unit consisting of a leasehold interest and shares of the corporation owing the property could qualify as qualifying home Regarding the purchase of a unit that consisting of a leasehold interest in the property and a number of shares in the corporation that owns the property, CCRA noted that advance rulings had found that a unit consisting of a leasehold interest and shares, and giving its holder the right to the personal enjoyment of the housing unit would be a housing unit for the purposes of the definition of "principal residence", and that the acquisition of such a unit could qualify as a qualifying home for HBP purposes. ...