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Miscellaneous severed letter

2001 Income Tax Severed Letter 2000-0049451 - XXXXXXXXXX

., none of the issues involved in this ruling request are: a) in an earlier return of the Company, New Corp. or a related person; b) being considered by any tax services office or tax centre in connection with a previously filed tax return of the Company, New Corp. or a related person; c) the subject matter of any notice of objection filed pursuant to the Act by the Company, New Corp. or a related person; or d) before the courts. ...
Miscellaneous severed letter

9 October 1992 Income Tax Severed Letter 9215385 - Trinidad Treaty

The case concerned a Swedish taxpayer operating a consulting company that was hired in connection with the hook-up of a drilling platform on the Norwegian continental shelf. ...
Miscellaneous severed letter

29 September 1989 Income Tax Severed Letter AC73788 - Discount on Obligations and Foreign Exchange Losses on Repayment

The general principles stated in this bulletin and established by the courts for foreign currency transactions are the following: a) where the gain or loss arises in connection with the purchase or the sale of property or services, the nature of the gain and loss will be determined by the nature of the transaction. ...
Miscellaneous severed letter

30 October 1986 Income Tax Severed Letter 5-1782

30 October 1986 Income Tax Severed Letter 5-1782 Dear Sirs: This is in reply to your letter of June 20, 1986 in which you requested our opinion on the application of certain provisions of the Income Tax Act (the "Act") in connections with the following assumed facts: In 1971, a taxable Canadian corporation (Canco) incorporated a company in the Netherlands (BV). ...
Miscellaneous severed letter

10 March 1992 Income Tax Severed Letter 9202905 - Non-profit Organization - 24(1)

In general terms they are as follows: (a) it must not, in the opinion of the Minister, be a charity; (b) it must be organized exclusively for social welfare, civic improvement, pleasure, recreation or any other purpose except profit; (c) it must in fact be operated exclusively for the same purpose in (b) for which it was organized or for any of the other purposes mentioned in (b); and (d) no part of its income may be paid, payable or otherwise made available for the personal benefit of any proprietor, member or shareholder, except in connection with the promotion of amateur athletics in Canada. ...
Miscellaneous severed letter

14 August 1981 Income Tax Severed Letter RCT 5-2662 F

In connection with the possible application of subsection 110.6(8) of the Act, even if shares are not prescribed shares it may be that any capital gain on their disposition is not attributable to the fact that dividends were not paid on the shares and thus subsection 110.6(8) may not apply. ...
Miscellaneous severed letter

2 April 1990 Income Tax Severed Letter 7-4793 - Employers dealing at arm's length

Each of these "connections" is, in turn, statutorily defined (subsection 251(6) of the Act). ...
Miscellaneous severed letter

6 April 1990 Income Tax Severed Letter 5-9047 - Tax withholding requirements under Regulation 105(1) for various situations regarding contracts with an American corporation for maintenance of computer software programs and hardware

It is our position that the following two conditions must be met in order for payments for any services, including a hotline service, provided in connection with the use of computer software not to be considered part of the software licence fee which is subject to Part XIII tax: (i) The acquisition of the services should be optional. ...
Miscellaneous severed letter

29 September 1989 Income Tax Severed Letter 7-3788 - Discount on obligations and foreign exchange losses on repayment of the said obligations.

The general principles stated in this bulletin and established by the courts for foreign currency transactions are the following: a) where the gain or loss arises in connection with the purchase or the sale of property or services, the nature of the gain and loss will be determined by the nature of the transaction. ...
Miscellaneous severed letter

7 July 2007 Income Tax Severed Letter 2006-0201052R3 - Return of capital under proposed 84(4.1)

The liquidation rights may be exercised by ACo at any time, at its discretion, so long as all of the following conditions have been met: (a) the liquidation would not cause the Other Fund to breach the restrictions respecting non-resident ownership contained in the Other Fund declaration of trust or otherwise cause the Other Fund to cease to be a Mutual Fund Trust, (b) the Other Fund is legally entitled to issue the Other Fund Units in connection with the exercise of the liquidation rights, and (c) upon the exercise of the liquidation rights, the person receiving the Other Fund Units complies with all applicable securities laws”. 17) The following paragraphs are added after paragraph 10.c.: d. make a separate and independent second one-time exchange of LP Units for Fund Units at a date that is subsequent to the exchange described in paragraph a. above. ...

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