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Results 2061 - 2070 of 13696 for consideration
Miscellaneous severed letter
5 December 1989 Income Tax Severed Letter ACC4131U3D F - Extension of Detachment Period under Canada-U.S. Social Security Agreement
We trust you will give this request favourable consideration. Yours sincerely, C. ...
Miscellaneous severed letter
5 January 1990 Income Tax Severed Letter HBW65937(WP6) F - OECD
Senécal Director 957-2074 HBW 6593-7(WP6) OECD WORKING PARTY #6 TAXATION OF NEW FINANCIAL INSTRUMENTS Further to our memorandum of December 19, 1989, we enclose the final version of the OECD questionnaire on the above-mentioned subject for your consideration and reply. ...
Miscellaneous severed letter
20 November 1990 Income Tax Severed Letter 9030535A F - Instalment Receipts as Investment for an RRSP
Instead, we would ask that you address your concerns to the District Office for their consideration, who may, at their discretion, request our assistance should they require it. ...
Miscellaneous severed letter
5 December 1989 Income Tax Severed Letter ACC4131U3C F - Extension of Period of Detachment under Canada-U.S. Social Security Agreement
We trust you will give this request favourable consideration. Yours sincerely, C. ...
Miscellaneous severed letter
5 December 1989 Income Tax Severed Letter ACC4131U3B F - Extension of Period of Detachment under Canada-U.S. Social Security Agreement
We trust you will give this request favourable consideration. Yours sincerely, C. ...
Miscellaneous severed letter
5 December 1989 Income Tax Severed Letter ACC4131U3A F - Extension of Detachment Period under Canada-U.S. Social Security Agreement
We trust you will give this request favourable consideration. Yours sincerely, C. ...
Miscellaneous severed letter
19 October 1989 Income Tax Severed Letter AC32270 - Periodic Use of Accommodation not Benefit
Thornley 613-957-2101 October 19, 1989 Dear Sirs: This is in reply to your letter of September 11, 1989, requesting further consideration of arguments that the periodic use of accommodation by a resident in the circumstances of your ruling request does not give rise to a benefit in the hands of such resident. ...
Technical Interpretation - External
13 May 1992 External T.I. 9214725 F - International Shipping
Whether a particular asset is capital property used by a person in carrying on a business (other than an insurance business) in Canada such that the asset is "taxable Canadian property" by virtue of subparagraph 115(1)(b)(ii) is essentially a question of fact that can only be answered after determination of all relevant facts pertaining to the particular case under consideration. ...
Miscellaneous severed letter
21 September 1979 Income Tax Severed Letter
That is, the father transfers assets to a newly incorporated corporation in consideration for a demand vote and preferred shares. ...
Miscellaneous severed letter
11 February 1981 Income Tax Severed Letter A-3735 - [810211]
We are assuming that the shareholder guaranteed the loan of the corporation for inadequate consideration. ...