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Conference

29 November 2022 CTF Roundtable Q. 1, 2022-0949781C6 - Loans Made by Limited Partnerships to Limited Partners

The aggregate of all such loans received by the limited partner in respect of a partnership’s fiscal period does not exceed the total of the limited partner’s share of the partnership adjusted net income” (footnote 2) for such period and the limited partner’s adjusted cost base (“ACB”) at the end of the fiscal period (ACB determined before the application of subparagraph 53(2)(c)(v) to the loans); or if there is an excess, the excess is an immaterial amount. 3. ...
Conference

20 June 2023 STEP Roundtable Q. 10, 2023-0965831C6 - Non-Resident Corporations Owning Canadian Real Estate

Reasons: Interpretation of the Act and previous positions. 2023 STEP CRA Roundtable June 20, 2023 QUESTION 10. ...
Conference

20 June 2023 STEP Roundtable Q. 18, 2023-0966631C6 - Foreign Tax Credit Verification and Delays

The supporting documents requested by the CRA are proof of payment of that confirmed final tax liability. 2023 STEP CRA Roundtable June 20, 2023 QUESTION 18. ...
Conference

28 May 2025 IFA Roundtable Q. 1, 2025-1052641C6 - Digital Services Tax (DST) Act

Vicky Liu 2025-105264 May 28, 2025 Response prepared by: Renée Desrosiers/Linda Hansen (sub-questions 1, 2, 4) International Tax Operations Division International and Large Business Directorate Compliance Programs Branch Ann Kippen/James Atkinson (sub-question 3) Specialty Tax Division Income Tax Rulings Directorate Legislative Policy and Regulatory Affairs Branch (Response prepared in collaboration with the Compliance Programs Branch) Walter Woo/Ziye Zhang (sub-question 5) Taxes & Charities Appeals Directorate Appeals Branch June Carrière (sub-question 6) Business Accounting Programs Section Assessment, Benefit, and Service Branch FOOTNOTES Note to reader: Because of our system requirements, the footnotes contained in the original document are shown below instead: 1. ...
Conference

7 June 2017 CPTS Roundtable, 2017-0695131C6

The same document confirms the CRA’s view that “similar” is to be interpreted narrowly, stating, In our view, the word “similar” in the context of subsection 111(5) of the Act has a narrower meaning than “having characteristics in common” and should be interpreted as “of the same general nature or character”. ... Canadian Western Natural Gas, Light, Heat & Power Co. ((1922) 69 DLR 401 (Alta SC (AD)). ... George Thompson & Company, Limited (1927), 13 TC 83 (Eng. KB) (“Scales”) sets out the test for the determination of whether certain operations are a separate business. ...
Conference

15 May 2024 IFA Roundtable Q. 7, 2024-1007641C6 - Principal Purpose Test in the Multilateral Instrument

When describing how the purpose is to be established, paragraphs 178 and 179 of the Commentary indicate that the PPT is an objective-subjective standard considering all the relevant facts and circumstances to determine if obtaining a treaty benefit was one of the principal purposes of the arrangement or transaction: “178. […] What are the purposes of an arrangement or transaction is a question of fact which can only be answered by considering all circumstances surrounding the arrangement or event on a case-by-case basis. It is not necessary to find conclusive proof of the intent of a person concerned with an arrangement or transaction, but it must be reasonable to conclude, after an objective analysis of the relevant facts and circumstances, that one of the principal purposes of the arrangement or transaction was to obtain the benefits of the tax convention. […]” 179. ...
Conference

6 December 2011 TEI-CRA Liason Meeting Roundtable Q. 10, 2011-0427291C6 - 2011 TEI-CRA Liaison Meeting: Qu. 10

Position: See response. 2011 TEI-CRA Liaison Meeting December 6, 2011 Question 10- Transfer Pricing (1) Michael Danilack, Deputy Commissioner (International), Large Business & International, of the Internal Revenue Service made remarks during TEI's 61st Midyear Conference in Washington, D.C. ...
Conference

14 May 2015 CLHIA Roundtable Q. 5, 2015-0573821C6 - Safe income

Yves Moreno / François Mathieu 2015-057382 ...
Conference

4 May 2010 CALU Roundtable, 2010-0359421C6 - Shareholder's benefit and life insurance

To quote from CRA Views # 2009-0347291C6 (which provides both the English and French versions of question #3 from the Foundation's Roundtable), "whether a corporation has conferred a benefit on a shareholder for subsection 15(1) ITA purposes is generally one of fact. ...
Conference

29 November 2016 CTF Roundtable Q. 6, 2016-0669661C6 - 84.1 and the Poulin/Turgeon Case

Poulin wanted to leave Amiante, selling his interest in it at the best price and under the most optimal possible conditions one of which was to benefit from his capital gains deduction. ...

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