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Miscellaneous severed letter

30 October 1989 Income Tax Severed Letter RCT 5-8282

Is the effect of the amendment to paragraph 8l(l)(c) contained in S.C. 1974-75-76 c. 26 to "overturn" the decision of Furness Withy & Co. ...
Miscellaneous severed letter

1 May 1989 Income Tax Severed Letter RCT 5-1243

In these circumstances the 10 Amalco common shares to be received by the Parent corporation would have a cost of $500,010 computed as follows: Cost of Newco share 87(9)(c)(i) 10 $10 Cash + cost amount of other assets $500,010 ACT of Newco share- 87(9)(c)(ii)(A)(11) 10 500.000 $500,010 Since the Parent corporation will own all of the issued shares of the capital stock of Amalco, the fairmarket value of the 10 Amalco common shares to be issued to the Parent corporation will be equal to $1,000,010. ...
Miscellaneous severed letter

22 February 1988 Income Tax Severed Letter RCT 7-2214

Guidelines are given in the CICA Handbook for which level of % shareholdings create a presumption of significant influence or below which level it is presumed that there is not significant influence but these presumptions are subject to rebuttal. ...
Miscellaneous severed letter

18 October 1989 Income Tax Severed Letter RCT 5-8727

More specifically, the reasons for our position are as follows: a) The question posed in the 1980 Round Table made reference to "... a condominium or other residential property located in the United States... held by a Canadian corporation for the occupancy of the corporation shareholder. ...
Miscellaneous severed letter

30 June 1987 Income Tax Severed Letter 7-1826 - Part XIII tax exemption request on bank interest

Regulation 805 contained in Part VIII of the Income Tax Regulations does not apply to exempt the interest paid to the non-resident where the organization's interest income cannot "... be attributed to the business carried on by him in Canada... ...
Miscellaneous severed letter

6 January 1988 Income Tax Severed Letter 5-5078 - Non-resident withholding tax—bank subsidiary deposits at the bank

However, paragraph 6 or Article XI states that "... the person paying the interest, whether he is a resident of a Contracting State or not, has in a State other than that of which he is a resident a permanent establishment... in connection with which the indebtedness on which the interest is paid was incurred, and such interest is borne by such permanent establishment..., then such interest shall be deemed to arise in the State in which the permanent establishment... is situated and not in the State of which the payer is resident". ...
Miscellaneous severed letter

2 March 1981 Income Tax Severed Letter RCT 89-136

Fawcett & Son, Limited, [[1980] C.T.C. 293] 80 DTC 6195 (F.C.A.), it was held that the three companies therein mentioned were "associated" because they were controlled by the same person in the year. ...
Miscellaneous severed letter

11 April 1990 Income Tax Severed Letter 7-4692 - Review of Taxable Benefits Manual—clergymen's residence and travel allowances

. $18,000 + $7,200- $25,200). 17. Under the heading "Preparation of the T4" in example v: Box (G) $25,000 should be replaced with the figure $25,200 in the calculation in brackets. ...
Miscellaneous severed letter

15 September 1989 Income Tax Severed Letter 7-4025 - Canada-China Income Tax Agreement—bank interest

In addition, a review of Falconbridge on “Banking and Bills of Exchange” states on page 759 that “... a “deposit” could, depending on the contractual terms, refer to money loaned to a bank in exchange for any kind of document evidencing such indebtedness, including... bank passbooks”. ...
Miscellaneous severed letter

8 April 1992 Income Tax Severed Letter 9203025 - Whether “sale”, “redeems” and “acquires” includes a deemed disposition

SUBJECT: WHETHER SALE, REDEEMS & ACQUIRES INCLUDES A DEEMED DISPOSITION SECTION: REG 230(2), REG 230(3)] April 8, 1992 W.S. ...

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