Search - connection
Results 5611 - 5620 of 7791 for connection
Ruling
30 November 1996 Ruling 9716313 - ASSET ROLL-DOWN- SERIES OF TRANSACTIONS
To the best of your knowledge, and that of the taxpayers involved, none of the issues contained herein: (a)is in an earlier return of the taxpayers or a related person; (b)is being considered by a tax services office or taxation centre in connection with a previously filed tax return of the taxpayers or a related person; (c)is under objection by the taxpayers or a related person; or (d)is before the courts or, if a judgement has been issued, the time limit for appeal to a higher court has not expired. ...
Ruling
30 November 1996 Ruling 9604823 - BUTTERFLY
ADDITIONAL INFORMATION 40.To the best of your knowledge, and that of the parties to this ruling, none of the issues involved in the requested rulings is being considered by a tax services office or a taxation centre in connection with an income tax return already filed, or is under objection or appeal. 41.There will not be, as part of the series of transactions or events that includes the proposed transactions described herein, any (a) disposition of property in the circumstances described in subparagraph 55(3.1)(b)(i), (b) acquisition of control in the circumstances described in subparagraph 55(3.1)(b)(ii), (c) acquisition of property in the circumstances described in paragraph 55(3.1)(c), (d) acquisition of property in the circumstances described in paragraph 55(3.1)(d), which has not been described herein. 42.Other than as a result of the proposed amalgamation of the Subject Corporations described in paragraph 28 of Proposed Transactions, no property has or will become property of any of the Subject Corporations or Amalco in contemplation of the proposed transactions. 43.None of the shares referred to in this ruling application is or will be subject to a guarantee agreement, within the meaning of subsection 112(2.2) of the Act, that is given by a person or partnership (other than the issuer of the share or an individual other than a trust), that is a specified financial institution or a specified person in relation to such an institution. 44.None of the shares described herein have been or will be issued or acquired as part of a transaction or event or series of transactions or events of the type described in subsection 112(2.5) of the Act. 45.None of the shares described herein has been or will be the subject of a dividend rental arrangement as that term is defined in subsection 248(1) of the Act. ...
Ruling
30 November 1996 Ruling 9725063 - splitting up a mutual fund trust
We understand that none of the issues involved in the ruling request, to the best of your knowledge and that of the taxpayers involved: i) is in an earlier return of the taxpayers or a related person, ii) is being considered by an office of Revenue Canada in connection with a previously filed tax return of the taxpayers or a related person, iii) is under objection by the taxpayers or a related person, iv) is before the courts or, if a judgement has been issued, the time limit for appeal to a higher court has not expired, and v) is the subject of a ruling previously issued by the Directorate to the taxpayers or a related person. ...
Ruling
30 November 1996 Ruling 9709193 - BUTTERFLY REORGANIZATION
We understand that to the best of your knowledge and that of the taxpayers involved none of the issues involved in the requested rulings is being considered by a tax services office or a taxation centre in connection with a tax return already filed, or is under objection or appeal. ...
Ruling
30 November 1997 Ruling 9807433 - BUTTERFLY REORGANIZATION
To the best of your knowledge, and that of the taxpayers involved, none of the issues contained herein is: (i) dealt with in an earlier return of the taxpayers or a related person; (ii) being considered by a tax services office or taxation centre in connection with a previously filed tax return of the taxpayers or a related person; (iii) under objection by the taxpayers or a related person; (iv) subject to a ruling previously issued by the Income Tax Rulings & Interpretations Directorate; or (v) before the courts or, if a judgement has been issued, the time limit for appeal to a higher court has not expired. ...
Ruling
30 November 1997 Ruling 9730243 - SINGLE-WING BUTTERFLY AND ESTATE FREEZE
To the best of your knowledge, and that of the taxpayers, none of the issues involved in the ruling request is: (i) involved in an earlier return of the taxpayers or a related person; (ii) being considered by a tax services office or taxation centre in connection with a tax return previously filed by the taxpayers or a related person; (iii) under objection by the taxpayers or a related person; (iv) before the courts and there is no judgment that has been issued in which the time limit for appeal to a higher court has not expired; and (v) the subject of a ruling previously issued by the Income Tax Rulings and Interpretations Directorate. ...
Ruling
30 November 1997 Ruling 9727303 - BUTTERFLY
To the best of your knowledge and the knowledge of the responsible officers of the taxpayers involved none of the issues involved in the requested rulings is being considered by a Tax Services Office or Taxation Centre in connection with an income tax return already filed and none of the issues involved is subject to a notice of objection under section 165 of the Income Tax Act or is otherwise under appeal. ...
Ruling
30 November 1997 Ruling 9813283 - BUTTERFLY
We understand that, to the best of your knowledge and that of the taxpayers involved, none of the issues involved in the requested rulings is being considered by a taxation services office or a taxation centre in connection with a tax return already filed, or is under objection or appeal. ...
Ruling
30 November 1997 Ruling 9821773 - BUTTERFLY
We understand that, to the best of your knowledge and that of the taxpayers involved, none of the issues involved in the requested rulings is being considered by a taxation services office or a taxation centre in connection with a tax return already filed, or is under objection or appeal. ...
Ruling
30 November 1997 Ruling 9727223 - XXXXXXXXXX DPS
To the best of your knowledge and that of the Debtor and Lenders, none of the issues involved in this ruling request is currently under consideration by a tax services office or taxation centre in connection with a tax return already filed or is under objection, or under appeal, or the subject of any ruling previously issued by the Directorate with respect to the Debtor. ...