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Technical Interpretation - External summary

9 November 2010 External T.I. 2010-0380661E5 F - Internal Reorganization -- summary under Subsection 55(4)

Holdco Inc. will transfer a rental property and its shares of Opco 1 Inc. to Holdco 2 Inc. on a s. 85(1) rollover basis in consideration for the issuance of preferred shares and the resulting cross preferred shareholdings will be redeemed and the resulting notes settled. ...
Technical Interpretation - Internal summary

13 February 2017 Internal T.I. 2015-0568011I7 - Classification of Florida LLLP -- summary under Section 96

However, in light of the transitional relief being afforded to such partnerships, the Directorate suggested “that consideration be given to allowing the Florida-LLLPs to be treated as partnerships for the purposes of the Act for the relevant taxation years.” ...
Technical Interpretation - External summary

12 June 2009 External T.I. 2009-0316511E5 F - Charges sociales et autres retenues France -- summary under Non-Business-Income Tax

. … 2002-0169607 states that the "contribution sociale généralisée" and the "contribution pour le remboursement de la dette sociale" qualify as a non-business income tax … since these contributions have the legal characteristics of a tax (levied without direct consideration) as opposed to social contributions which, in turn, confer on those who pay them a right to benefits. … [S]ocial security contributions generally do not qualify as income or profits taxes because they are not really taxes at all, within the judicially accepted meaning of that term. ...
Ruling summary

2016 Ruling 2015-0617351R3 - payments under a German profit transfer agrmt “PTA" -- summary under Subsection 90(2)

FA2 will transfer all of its shares of FA5 to New FA3 in consideration for shares of New FA3. ...
Conference summary

18 May 2017 Roundtable, 2017-0692361C6 - CLHIA 2017 Q4 - Gift of a life insurance policy -- summary under Subsection 248(36)

., the greatest of the FMV of the consideration given, the ACB of the policy and the CSV of the policy at the time of transfer. ...
Ruling summary

2016 Ruling 2015-0614081R3 - Flow through shares - farm-out agreement -- summary under Subsection 66(12.71)

Proposed transactions Bco will purchase Aco’s interest in Property 1 and Property 2 (being mining claims) in consideration for the reduction of the intercompany debt owing by Aco to Bco, with Aco including the proceeds of disposition in element F of the definition of “cumulative Canadian development expense.” ...
Ruling summary

2016 Ruling 2015-0614081R3 - Flow through shares - farm-out agreement -- summary under Paragraph (f)

Proposed transactions Bco will purchase Aco’s interest in Property 1 and Property 2 (being mining claims) in consideration for the reduction of the intercompany debt owing by Aco to Bco, with Aco including the proceeds of disposition in element F of the definition of “cumulative Canadian development expense.” ...
Technical Interpretation - External summary

28 January 2008 External T.I. 2007-0250831E5 F - Part IV.1 and VI.1 Taxes - Subsection 55(2) -- summary under Subsection 191(4)

The redemption price of the shares, which were short-term preferred shares, was set at the fair market value of the assets (transferred on a rollover basis to Subco) in consideration for which they were issued, which originally had been set at an amount of $2M, but was subsequently reduced by agreement with CRA and pursuant to a price adjustment clause to $1M. ...
Technical Interpretation - External summary

28 January 2008 External T.I. 2007-0250831E5 F - Part IV.1 and VI.1 Taxes - Subsection 55(2) -- summary under Subparagraph 55(3)(a)(i)

The redemption price of the shares, which were short-term preferred shares, was set at the fair market value of the assets (transferred on a rollover basis to Subco) in consideration for which they were issued, which originally had been set at an amount of $2M, but was subsequently reduced by agreement with CRA and pursuant to a price adjustment clause to $1M. ...
Technical Interpretation - External summary

17 March 2005 External T.I. 2005-0118601E5 F - Sale of Shares-Transfer of Family Business -- summary under Subparagraph 84.1(2)(a.1)(ii)

After acquiring A’s Holdco common shares for FMV consideration ($0.5M in notes issued by them to A), A’s children then sold those shares to a Newco formed by them in exchange for a Newco promissory note for $0.5M. ...

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