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Old website (cra-arc.gc.ca)

Registered Disability Savings Plan

10-Year Repayment Rule Proportional Repayment Rule Tax payable Tax payable on DAPs Tax deduction at source Tax payable on non-qualified investment Tax payable where inadequate consideration Tax payable on an advantage Tax payable on use of property as security Waiver of liability Online services My Account MyCRA – Mobile app MyBenefits CRA – get your information on the go Electronic payments For more information What if you need help? ... Tax payable where inadequate consideration This tax applies for a calendar year if, in the year, an RDSP trust: disposes of property for an amount less than the FMV of the property at the time of the disposition, or for no amount at all; or acquires property for an amount greater than the FMV of the property at the time of acquisition. ... Amount of tax payable The amount of tax payable for each disposition or acquisition is: the amount by which the FMV differs from the consideration; or if there is no consideration, the amount of the FMV. ...
Current CRA website

Registered Disability Savings Plan

10-Year Repayment Rule Proportional Repayment Rule Tax payable Tax payable on DAPs Tax deduction at source Tax payable on non-qualified investment Tax payable where inadequate consideration Tax payable on an advantage Tax payable on use of property as security Waiver of liability Online services My Account MyCRA – Mobile app MyBenefits CRA – get your information on the go Electronic payments For more information What if you need help? ... Tax payable where inadequate consideration This tax applies for a calendar year if, in the year, an RDSP trust: disposes of property for an amount less than the FMV of the property at the time of the disposition, or for no amount at all; or acquires property for an amount greater than the FMV of the property at the time of acquisition. ... Amount of tax payable The amount of tax payable for each disposition or acquisition is: the amount by which the FMV differs from the consideration; or if there is no consideration, the amount of the FMV. ...
Old website (cra-arc.gc.ca)

Total Qualified SR&ED Expenditures for Investment Tax Credit Purposes Policy

This calculation takes into consideration the terms "qualified expenditure" and "SR&ED qualified expenditure pool" which are defined in the Act. ... Legislative References Income Tax Act Subsection 127(9) Definition of "contract payment" Subsection 127(9) Definition of "qualified expenditure" Subsection 127(9) Definition of "SR&ED qualified expenditure pool" Subsection 127(13) Agreement to transfer qualified expenditures Subsection 127(14) Identification of amounts transferred Section 251 Arm's length 7.5 Other considerations when transferring qualified SR&ED expenditures between persons not dealing at arm's length 7.5.1 Different year-ends for the performer and the payer Since ITC eligibility arises at the performer's tax year-end, the transfer is made in respect of a particular tax year of the performer (transferor). ... Legislative References Income Tax Act Subsection 69(1) Inadequate considerations Subsection 127(11.8) Interpretation for non-arm's length costs 12.4 Leasing of a property is deemed to be the rendering of a service for lease costs incurred prior to 2014 The following rule and example contained in section 12.4.1 are applicable to lease costs incurred before 2014. ...
Current CRA website

Total Qualified SR&ED Expenditures for Investment Tax Credit Purposes Policy

This calculation takes into consideration the terms "qualified expenditure" and "SR&ED qualified expenditure pool" which are defined in the Act. ... Legislative References Income Tax Act Subsection 127(9) Definition of "contract payment" Subsection 127(9) Definition of "qualified expenditure" Subsection 127(9) Definition of "SR&ED qualified expenditure pool" Subsection 127(13) Agreement to transfer qualified expenditures Subsection 127(14) Identification of amounts transferred Section 251 Arm's length 7.5 Other considerations when transferring qualified SR&ED expenditures between persons not dealing at arm's length 7.5.1 Different year-ends for the performer and the payer Since ITC eligibility arises at the performer's tax year-end, the transfer is made in respect of a particular tax year of the performer (transferor). ... Legislative References Income Tax Act Subsection 69(1) Inadequate considerations Subsection 127(11.8) Interpretation for non-arm's length costs 12.4 Leasing of a property is deemed to be the rendering of a service for lease costs incurred prior to 2014 The following rule and example contained in section 12.4.1 are applicable to lease costs incurred before 2014. ...
Old website (cra-arc.gc.ca)

Claim Review Manual for Research and Technology Advisors - SR&ED Program

Claim Review Manual for Research and Technology Advisors SR&ED Program Previous Chapter CRM Table of Contents Next Chapter Chapter 6.0 Documenting the review Table of contents 6.1.0 Summary of chapter 6.2.0 Requirements of chapter 6.3.0 Users of the RTA's documents 6.4.0 Definitions / explanation of terms 6.5.0 Basic principles 6.6.0 Types of working papers and supporting documentation 6.6.1 Documents received from the tax centre 6.6.2 Documents received from the Control Function 6.6.3 Review plan 6.6.4 Records of communications 6.6.5 Correspondence 6.6.6 Documentation related to outside consultants 6.6.7 Results of RTA's work 6.6.8 Other Supporting Evidence 6.7.0 Documents supporting the RTA's decisions 6.7.1 General requirements 6.7.2 Detail required to support the RTA's work 6.7.2.1 No technical issues but the FR requires some assistance 6.7.2.2 All issues resolved in claimant's favour, no on-site visit made 6.7.2.3 All issues resolved in claimant’s favour, following an on-site visit 6.7.2.4 Not all issues resolved in claimant's favour 6.8.0 The SR&ED Review Report 6.8.1 Identification 6.8.2 Summary of results by tax year 6.8.3 Review issues 6.8.4 Review methodology 6.8.5 Information and supporting evidence reviewed 6.8.6 Review observations, determinations, conclusions, and other decisions 6.8.6.1 Documenting eligibility determinations 6.8.6.2 Documenting Unsubstantiated claims 6.8.6.3 Formal statements to be used in section 6 of the SR&ED review report 6.8.6.4 What to avoid in documenting determinations 6.8.7 Working with the claimants 6.8.8 Claimant concurrence 6.8.9 Recommendations for future claims 6.8.10 Other financial review considerations 6.8.11 Signatures 6.9.0 Other methods to document the RTA's work 6.9.1 Memos 6.9.2 Short SR&ED review report 6.9.3 SR&ED review report for a partnership 6.9.4 SR&ED review report addendum 6.10.0 Formatting and indexing the TF98 file 6.1.0 Summary of chapter Documenting the review carried out by the research and technology advisor (RTA) is discussed in this Chapter. ... Nevertheless, this section provides an additional opportunity for the RTA to do so. 6.8.10 Other financial review considerations The purpose of this section is to document any concerns about the claim believed to require the attention of the FR but which are not elsewhere indicated in the SR&ED review report. ... Other financial review considerations" – if the names of the individual partners, their Business numbers/ SINs, and their percentage of ownership is known, this information can be placed in the body of this section. ...
Old website (cra-arc.gc.ca)

Assistance and Contract Payments Policy

Table of contents 1.0 Purpose 2.0 Overview 3.0 Meaning of terms 3.1 Amount received 3.2 Entitled to receive 3.3 Reasonably be expected to receive 4.0 Government and non-government assistance 4.1 Definitions 4.1.1 Government assistance 4.1.2 Non-government assistance 4.2 General considerations 4.2.1 Factors used to determine whether an amount is assistance 4.2.2 The context of the assistance agreement 4.2.3 Example – Forgivable loan 4.3 Application of the rules 4.3.1 The pool of deductible SR&ED expenditures 4.3.2 Qualified SR&ED expenditures 4.3.3 Example – Reduction of qualified SR&ED expenditures 4.4 Assistance received or receivable by a non-arm's length party 4.4.1 Allocation of assistance 4.4.2 Example – Allocation of assistance 4.5 Provincial and territorial research and development tax credits 4.5.1 Treatment of assistance related to the prescribed proxy amount and impact on the pool of deductible SR&ED expenditures 4.5.2 Treatment of assistance related to the prescribed proxy amount with respect to qualified SR&ED expenditures 4.5.3 Quebec's R&D tax credits 4.5.4 Ontario's R&D tax credits 4.5.5 Super-allowance benefit amount 4.6 Repayment of assistance 5.0 Contract payments 5.1 Overview 5.2 Definition of a contract payment 5.3 Differences between assistance and contract payments 5.4 Who is entitled to an investment tax credit? ... Although consideration should also be given to the nature of the functions performed by an entity, a public authority is generally an entity that: has a duty to the public; is subject to a significant degree of government control; and uses its profits for the benefit of the public. ... Legislative References Income Tax Act Paragraph 12(1)(x) Inducement, reimbursement, etc Subsection 127(9) Definition of “non-government assistance” 4.2 General considerations 4.2.1 Factors used to determine whether an amount is assistance Determining whether an amount received by a claimant is assistance will depend on the particular facts of the case. ...
Current CRA website

Claim Review Manual for Research and Technology Advisors

Claim Review Manual for Research and Technology Advisors SR&ED Program Previous Chapter CRM Table of Contents Next Chapter Chapter 6.0 Documenting the review Table of contents 6.1.0 Summary of chapter 6.2.0 Requirements of chapter 6.3.0 Users of the RTA's documents 6.4.0 Definitions / explanation of terms 6.5.0 Basic principles 6.6.0 Types of working papers and supporting documentation 6.6.1 Documents received from the tax centre 6.6.2 Documents received from the Control Function 6.6.3 Review plan 6.6.4 Records of communications 6.6.5 Correspondence 6.6.6 Documentation related to outside consultants 6.6.7 Results of RTA's work 6.6.8 Other Supporting Evidence 6.7.0 Documents supporting the RTA's decisions 6.7.1 General requirements 6.7.2 Detail required to support the RTA's work 6.7.2.1 No technical issues but the FR requires some assistance 6.7.2.2 All issues resolved in claimant's favour, no on-site visit made 6.7.2.3 All issues resolved in claimant’s favour, following an on-site visit 6.7.2.4 Not all issues resolved in claimant's favour 6.8.0 The SR&ED Review Report 6.8.1 Identification 6.8.2 Summary of results by tax year 6.8.3 Review issues 6.8.4 Review methodology 6.8.5 Information and supporting evidence reviewed 6.8.6 Review observations, determinations, conclusions, and other decisions 6.8.6.1 Documenting eligibility determinations 6.8.6.2 Documenting Unsubstantiated claims 6.8.6.3 Formal statements to be used in section 6 of the SR&ED review report 6.8.6.4 What to avoid in documenting determinations 6.8.7 Working with the claimants 6.8.8 Claimant concurrence 6.8.9 Recommendations for future claims 6.8.10 Other financial review considerations 6.8.11 Signatures 6.9.0 Other methods to document the RTA's work 6.9.1 Memos 6.9.2 Short SR&ED review report 6.9.3 SR&ED review report for a partnership 6.9.4 SR&ED review report addendum 6.10.0 Formatting and indexing the TF98 file 6.1.0 Summary of chapter Documenting the review carried out by the research and technology advisor (RTA) is discussed in this Chapter. ... Nevertheless, this section provides an additional opportunity for the RTA to do so. 6.8.10 Other financial review considerations The purpose of this section is to document any concerns about the claim believed to require the attention of the FR but which are not elsewhere indicated in the SR&ED review report. ... Other financial review considerations" – if the names of the individual partners, their Business numbers/ SINs, and their percentage of ownership is known, this information can be placed in the body of this section. ...
Current CRA website

Assistance and Contract Payments Policy

Table of contents 1.0 Purpose 2.0 Overview 3.0 Meaning of terms 3.1 Amount received 3.2 Entitled to receive 3.3 Reasonably be expected to receive 4.0 Government and non-government assistance 4.1 Definitions 4.1.1 Government assistance 4.1.2 Non-government assistance 4.2 General considerations 4.2.1 Factors used to determine whether an amount is assistance 4.2.2 The context of the assistance agreement 4.2.3 Example – Forgivable loan 4.3 Application of the rules 4.3.1 The pool of deductible SR&ED expenditures 4.3.2 Qualified SR&ED expenditures 4.3.3 Example – Reduction of qualified SR&ED expenditures 4.4 Assistance received or receivable by a non-arm's length party 4.4.1 Allocation of assistance 4.4.2 Example – Allocation of assistance 4.5 Provincial and territorial research and development tax credits 4.5.1 Treatment of assistance related to the prescribed proxy amount and impact on the pool of deductible SR&ED expenditures 4.5.2 Treatment of assistance related to the prescribed proxy amount with respect to qualified SR&ED expenditures 4.5.3 Quebec's R&D tax credits 4.5.4 Ontario's R&D tax credits 4.5.5 Super-allowance benefit amount 4.6 Repayment of assistance 5.0 Contract payments 5.1 Overview 5.2 Definition of a contract payment 5.3 Differences between assistance and contract payments 5.4 Who is entitled to an investment tax credit? ... Although consideration should also be given to the nature of the functions performed by an entity, a public authority is generally an entity that: has a duty to the public; is subject to a significant degree of government control; and uses its profits for the benefit of the public. ... Legislative References Income Tax Act Paragraph 12(1)(x) Inducement, reimbursement, etc Subsection 127(9) Definition of “non-government assistance” 4.2 General considerations 4.2.1 Factors used to determine whether an amount is assistance Determining whether an amount received by a claimant is assistance will depend on the particular facts of the case. ...
Current CRA website

Webinar – Completing your T3010 online: A walkthrough for charities

Slide 4 – Objective RENEE: “The purpose of today’s presentation is to familiarize you with the online T3010 and highlight its various features, along with other important considerations. ... Next, we’ll go through the sections and schedules of the T3010 and talk about the various features and important considerations. ... Slide 11 – Other considerations RENEE: “Inactive charities must still file a return. ...
Archived CRA website

ARCHIVED - Dividend Refund to Private Corporations

Contents Application Summary Discussion and Interpretation General (¶s 1-2) Taxable dividends paid (¶s 3-6) Refundable dividend tax on hand (¶ 7) Refundable portion of Part I tax (¶s 8-9) Canadian and foreign investment income (¶s 10-19) Other considerations (¶s 20-22) Dividend refund rate Refundable dividend tax on hand Part I tax addition to RDTOH Definitions Aggregate investment income Eligible portion Foreign investment income Income or loss Refundable tax on CCPC's investment income Explanation of Changes Application This bulletin cancels and replaces Interpretation Bulletin IT-243R3 dated May 21, 1985, and the Special Release to IT-243R3 dated December 30, 1987. ... Other considerations ¶ 20. When determining the required tax instalments for a taxation year under section 157, paragraph 157(3)(b) allows each instalment to be reduced by one-twelfth of the dividend refund for that taxation year. ...

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