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Technical Interpretation - External summary

29 March 2021 External T.I. 2020-0839571E5 - Common-law partner -- summary under Paragraph 55(3.01)(a)

Accordingly, the dividends received by the Newco and Opco will not be subject to subsection 55(2) because A will be related to B pursuant to paragraph 251(2)(a) …. ...
Technical Interpretation - External summary

17 November 2022 External T.I. 2021-0919001E5 F - Eligible Dividends and Non-Capital Loss Carry-Back -- summary under Subparagraph 152(4)(b)(i)

In the 2020 Loss Year, Opco paid two taxable dividends of $200 each to its corporate shareholder, which it designated as eligible dividends and then made an excessive eligible dividend designation in respect of each dividend. ...
Technical Interpretation - External summary

25 October 2023 External T.I. 2022-0927891E5 - XXXXXXXXXX Program - Deductibility of Costs -- summary under Paragraph 18(1)(a)

. [and] that a legal obligation to pay under contract does not exist until all contractual preconditions to which the payment relates are fulfilled [citing Wawang Forest Products]. ...
Technical Interpretation - External summary

14 November 2013 External T.I. 2013-0499121E5 - upstream loan -- summary under Subsection 90(6)

. Therefore…paragraph 248(28)(a)… applies to remedy the situation and avoid double taxation of the same amount. ...
Technical Interpretation - External summary

8 December 2015 External T.I. 2015-0608781E5 F - Associated corporations - discretionary trust -- summary under Subparagraph 256(1.2)(f)(ii)

Would Opco and Newco be associated under ss. 256(1.2)(f)(ii) and 256(1.3) and would it make any difference if the trust deed precluded only the distribution of income before 18? ...
Technical Interpretation - External summary

23 June 2016 External T.I. 2016-0627571E5 - Application of proposed amendments to section 55 -- summary under Paragraph 55(2.1)(b)

. If corporate income has not previously been taxed, whether because the corporation was entitled to certain tax benefits under the Act or for any other reason, then a dividend paid by the corporation from such income should be subject to subsection 55(2) unless none of the purposes of the dividend is described in proposed paragraph 55(2.1)(b). ...
Technical Interpretation - External summary

15 April 2002 External T.I. 2002-0128145 F - 84.1(2)(a.1) of the Act -- summary under Subparagraph 84.1(2)(a.1)(ii)

X of the preferred shares would be attributable to the capital gains deduction so that there would be a deemed dividend of $500,000 paid by Cco to Mr. ...
Technical Interpretation - External summary

4 January 2022 External T.I. 2015-0607531E5 F - Action admissible de petite entreprise -- summary under Paragraph (e)

X, CRA indicated that Amalco shares that were substituted for his Holdco common shares had not been held by anyone other than him, and that, prior to being replaced by Holdco shares, the original Opco share had not been owned by anyone other than him and in this regard, stated that s. “110.6(1)(e) can apply respecting multiple substitutions.” ...
Technical Interpretation - External summary

5 August 2022 External T.I. 2021-0877051E5 F - TOSI and excluded amount -- summary under Related Business

(a)(ii) of that definition, that prima facie, the mere fact of M-1 and C-1 acting as directors of Investco would not be sufficient in itself to consider that they were actively involved, on a regular basis, in the activities of Investco's business,” but that the “ownership test” in s. ...
Technical Interpretation - External summary

30 October 2014 External T.I. 2013-0488881E5 - Upstream Loan -- summary under Subsection 90(9)

On 20 June 2013 FA2 made the $1,500 "FA2 Loan" to Canco for 10 years but FA2 was wound-up into FA1 on 20 February 2014. ...

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