Search - 2002年 抽纸品牌 质量排名

Results 21 - 30 of 275 for 2002年 抽纸品牌 质量排名
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. ...
Technical Interpretation - Internal summary

2 October 2002 Internal T.I. 2002-0135807 F - Lumpsum Somme Forfaitaire Reg 102 / 103 -- summary under Paragraph 103(4)(c)

2 October 2002 Internal T.I. 2002-0135807 F- Lumpsum Somme Forfaitaire Reg 102 / 103-- summary under Paragraph 103(4)(c) Summary Under Tax Topics- Income Tax Regulations- Regulation 103- Subsection 103(4)- Paragraph 103(4)(c) withholding on retiring allowance paid in periodic instalments determined under Reg. 102(1) Where a retiring allowance of $30,000 was paid in 30 equal weekly payments of $1,000 to a Quebec employee, the Directorate determined that the rate of withholding would be determined under Reg. 102(1) on the basis of being periodic payments of $1,000 rather than pursuant to Reg. 103(4)(c)(i) as a lump sum payment over $15,000. ...
Technical Interpretation - External summary

5 September 2002 External T.I. 2002-0147315 - PARTNERSHIP AS A PARTNER & 98 (3) -- summary under Subsection 98(3)

5 September 2002 External T.I. 2002-0147315- PARTNERSHIP AS A PARTNER & 98 (3)-- summary under Subsection 98(3) Summary Under Tax Topics- Income Tax Act- Section 98- Subsection 98(3) lower-tier partnership wind-up Can s. 98(3) be used where one (or all) of the partners in the particular partnership are themselves partnerships? ...
Technical Interpretation - External summary

14 March 2002 External T.I. 2002-0119695 F - Income & Losses/Business or Property -- summary under Agency

14 March 2002 External T.I. 2002-0119695 F- Income & Losses/Business or Property-- summary under Agency Summary Under Tax Topics- General Concepts- Agency criteria applied for determining presence of agency Before confirming that ticket sales receipts of the taxpayer may have been generated as agent for charitable organizations, so that they did not generate income to the taxpayer, CCRA stated: In general, the CCRA agrees to recognize a principal-agent relationship between persons for tax purposes provided that: the relationship between the persons concerned is legally one of principal-agent; this implies, among other things, that the transactions relating to the agency are effective and complete from a legal standpoint; this relationship arises from a prior formal agreement and does not constitute an ex post facto arrangement; this relationship does not contravene any legislation; the relationship is not a sham; the relationship is disclosed to the CCRA and the relevant documents are provided to the CCRA at the appropriate time (generally when the relevant tax returns are filed); the facts of the particular situation support the existence of the principal-agent relationship between the persons concerned. ...
Technical Interpretation - External summary

4 November 2002 External T.I. 2002-0158885 F - Alloc. of Safe Inc. & Disc. Div. Shares -- summary under Paragraph 55(2.1)(c)

4 November 2002 External T.I. 2002-0158885 F- Alloc. of Safe Inc. & Disc. ...
Technical Interpretation - Internal summary

22 February 2002 Internal T.I. 2001-0101867 - Shareholder - Loans & 15(1) -- summary under Subsection 15(1)

22 February 2002 Internal T.I. 2001-0101867- Shareholder- Loans & 15(1)-- summary under Subsection 15(1) Summary Under Tax Topics- Income Tax Act- Section 15- Subsection 15(1) s. 15(1) ordinarily not applied where a shareholder owes money to a corporation under a genuine or bona fide loan arrangement Discussion of whether s. 15(1) or 56(2) might apply to loans by corporations wholly owned by an individual to a corporation that was partly owned by other persons. ...
Administrative Policy summary

Income Tax Technical News No. 22, 11 January 2002 -- summary under Rectification & Rescission

Income Tax Technical News No. 22, 11 January 2002-- summary under Rectification & Rescission Summary Under Tax Topics- General Concepts- Rectification & Rescission ...
Article Summary

A. J Oakley, "Chapter 8: Co-ownership", A Manual of the Law Of Real Property by Robert Megarry, 8th Ed., Sweet & Maxwell, 2002 -- summary under Subsection 248(20)

., Sweet & Maxwell, 2002-- summary under Subsection 248(20) Summary Under Tax Topics- Income Tax Act- Section 248- Subsection 248(20) Partition at common law (p. 327) Joint tenants and tenants in common have always been able to make a voluntary partition of the land concerned if all agreed; their co-ownership thus comes to an end as a result of each of them becoming sole tenant of the piece of land allotted to him. ...
Decision summary

Pope & Ors v. R & C Commrs., [2012] UKUT 206 (Tax and Chancery Chamber) -- summary under Paragraph 12(1)(c)

Pope & Ors v. R & C Commrs., [2012] UKUT 206 (Tax and Chancery Chamber)-- summary under Paragraph 12(1)(c) Summary Under Tax Topics- Income Tax Act- Section 12- Subsection 12(1)- Paragraph 12(1)(c) The son of the taxpayers (Mr and Mrs Pope), who was the beneficiary of a life insurance policy which he had purchased on his own life, was abducted in Angola by rebels in 1998. ... In 2002, the provider paid the £100,000 principal amount insured, plus an additional amount of £36,425.97. ... The payment had clearly been made as compensation for the deprivation between 1998 and 2002 of the principal amount. ...
Decision summary

Pope & Ors v. R & C Commrs., [2012] UKUT 206 (Tax and Chancery Chamber) -- summary under Subsection 104(13)

Pope & Ors v. R & C Commrs., [2012] UKUT 206 (Tax and Chancery Chamber)-- summary under Subsection 104(13) Summary Under Tax Topics- Income Tax Act- 101-110- Section 104- Subsection 104(13) The son of the taxpayer, who was the beneficiary of his own life insurance policy, likely died in 1998 when he was abducted by Angolan rebels, but this was never conclusively established. In 2002 the insurer paid the £100,000 principal amount insured to the taxpayer, plus an additional amount £36,425.97, which the Tribunal determined was interest. ...

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