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Technical Interpretation - Internal summary
13 November 2020 Internal T.I. 2020-0864831I7 - Equity award plan and recharge agreement -- summary under Paragraph 7(3)(b)
After citing Transalta for the proposition that “a discretionary arrangement that does not give employees the right to require that equity-based compensation be paid in the form of shares rather than cash is not an agreement to sell or issue shares for purposes of section 7,” it stated: … USCo can unilaterally decide to settle RSUs payable to CanCo employees in the form of cash rather than issuing Shares. ...
Technical Interpretation - Internal summary
9 December 2020 Internal T.I. 2020-0856521I7 - ERDTOH and NERDTOH Transition Rules -- summary under Subparagraph (a)(ii)
(a)(ii) of the ERDTOH definition – whereas para. (b) of the NERDTOH definition includes all other Part IV taxes payable by the corporation on dividends from a connected corporation, the Directorate stated: A corporation will not have transitioned to the ERDTOH and NERDTOH regime in its taxation year that begins before 2019 and cannot receive a refund from its ERDTOH account with respect to dividends paid in that taxation year. ...
Technical Interpretation - Internal summary
27 September 2021 Internal T.I. 2021-0877001I7 - CERS - Rent paid for unoccupied office space -- summary under Qualifying Property
[G]iven that the office space was unoccupied since the eligible entity moved to a new office … the old office space would likely not be considered to be used in the ordinary activities of the eligible entity. ...
Technical Interpretation - Internal summary
21 September 2021 Internal T.I. 2019-0807491I7 - Subsections 93.1(5) and (6) -- summary under Subsection 93.1(5)
It was “Rulings’ view that allowing subsection 220(2.1) to waive a taxpayer’s requirement to file an election not listed in Regulation 600 would negate the specific intention of Parliament in limiting late elections to only those that are prescribed in [Reg.] 600” – and, in any event, the CIF provision was not a provision of the Act itself, as required by s. 220(2.1). ...
Technical Interpretation - Internal summary
21 September 2021 Internal T.I. 2019-0807491I7 - Subsections 93.1(5) and (6) -- summary under Subsection 220(3.2)
It was “Rulings’ view that allowing subsection 220(2.1) to waive a taxpayer’s requirement to file an election not listed in Regulation 600 would negate the specific intention of Parliament in limiting late elections to only those that are prescribed in [Reg.] 600” – and, in any event, the CIF provision was not a provision of the Act itself, as required by s. 220(2.1). ...
Technical Interpretation - Internal summary
8 September 2022 Internal T.I. 2021-0892791I7 - Paragraph 94(3)(f) election -- summary under Paragraph 94(3)(f)
. … Given the fact that a non-resident that receives a letter containing proposed assessed amounts would almost certainly make a valid paragraph 94(3)(f) election before an audit assessment is actually issued, it appears unlikely that such a non-resident would ever be prevented from making a valid election. ...
Technical Interpretation - Internal summary
22 July 2008 Internal T.I. 2008-0284351I7 - Subsection 20(12) -- summary under Subsection 20(12)
. … [I]n... Kaiser... 91 DTC 1057...the taxpayer tried [unsuccessfully] to convince the Tax Court that foreign taxes paid on employment income were deductible under subsection 20(12).... ...
Technical Interpretation - Internal summary
22 June 2015 Internal T.I. 2014-0553731I7 - Deduction of Terminal Loss - Wind-up -- summary under Subsection 1102(14)
. … Justice L'Heureux-Dubé seemed to suggest that Mara Properties stands for the proposition that subsection 88(1) deems the parent to have received property of the same character from its subsidiary upon the subsidiary's wind-up. ...
Technical Interpretation - Internal summary
29 July 2015 Internal T.I. 2015-0575921I7 - Recapture arising in statute-barred years -- summary under Subsection 13(1)
. … If the total of all the decreases exceeds the total of all the increases to the UCC of a class as of the end of a taxation year, subsection 13(1) provides that this excess shall be included in computing the taxpayer's income for the year. ...
Technical Interpretation - Internal summary
14 March 2014 Internal T.I. 2013-0499141I7 - IRC 338(h)(10), "earnings" and safe income -- summary under Paragraph 5907(2)(f)
(a)(i) of the "earnings" definition) – without duplication of the adjustments in 1 and 2. ...