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GST/HST Interpretation
8 December 2005 GST/HST Interpretation 63606 - Used Movie Video/DVD Exchanged for Credits
We do not share the view that general principles could justify a reduction of consideration for the new supply. "Consideration" is defined under the ETA as including any amount payable for the supply by operation of law. ... Consequently, they are or form part of an amount "payable" for the new supply and part of consideration for the supply. 3. ...
GST/HST Interpretation
1 March 1995 GST/HST Interpretation 1995-03-01[1] - The Status of Transfer Payments From the For "Connecting Link" Construction Performed Under the Terms of a "Connecting Link Agreement" for the
If there is a direct link the transfer payment will be regarded as consideration. ... If it is owned by the XXXXX the XXXXX may be supplying construction services to the XXXXX and the payments under the CLA could be consideration for that supply. ... As the transfer payment is not consideration, XXXXX entitlement to relief should be determined without reference to that payment. ...
GST/HST Interpretation
10 January 1995 GST/HST Interpretation 1995-01-10 - Application of GST to Supplies of Steam Made by Registered Charities
The consideration paid or payable includes any amount of tax payable by the supplier on the transaction, after input tax credits or rebates have been deducted. ... If the payment for "administrative services" is required to be paid as a condition of being a recipient of steam, the payment remains part of the consideration for the steam. 3. ... The consideration is paid for a single supply of steam that would be taxable, since the total amount of consideration would exceed Charity B's direct cost of the steam. 4. ...
GST/HST Interpretation
16 August 1996 GST/HST Interpretation 11650-9[9] - Proposed Amendment to Section 153 - The "Trade-in Approach"
Selling Price $28,000.00 Less Trade-in 20,000.00 Adjusted Consideration 8,000.00 GST on Purchase (Adjusted Consideration x 7%) 560.00 Note: The conditions of proposed subsection 153(4) have been met therefore the consideration for the supply of the new vehicle is reduced by the amount credited for the trade-in. ... Therefore, the lessor will credit $3,000 for the leasehold interest against the value of the consideration of the new automobile when calculating the monthly lease payment. ... The conditions of proposed subsection 153(4) have been met therefore the consideration for the supply of the new vehicle is reduced by the amount credited for the trade-in. ...
GST/HST Interpretation
18 November 1999 GST/HST Interpretation HQR0001976 - Time of Liability for GST/HST
As such, the consideration payable in respect of the taxable supply of the manual or the subscription for updates to the manual is not deemed to become due on a particular day under the provisions of subsection 152(1). Subsection 168(1) of the ETA provides that GST/HST is payable by the recipient of a taxable supply on the earlier of the day that consideration for the supply is paid and the day the consideration for the supply becomes due. ... Therefore, in accordance with subsection 168(1) of the ETA, the GST/HST is payable on the day that the consideration is paid as the consideration does not become due on an earlier date in both situations. ...
GST/HST Interpretation
1 June 1999 GST/HST Interpretation HQR0001668 - Re: GST on Award Settlement
Based on the information provided, we are of the view that the net amount in issue is consideration for a taxable supply. ... Under subsection 152(1) of the Act, the consideration for a supply is generally deemed to have "become due" on the day on which the supplier first issues an invoice in respect of the supply for that consideration. ... Based on our understanding of the relevant documents however, it is not entirely clear to us whether all of the consideration for those services became due prior to May 1991 within the meaning of subsection 152(1) of the Act. ...
GST/HST Interpretation
31 August 2000 GST/HST Interpretation 24995 - Tax Status of Payment Received Under Land Withdrawal Agreement
The compensation paid to XXXXX by the oil and gas company is consideration for this supply. ... " If the lump-sum payment to XXXXX is for such a right then it is deemed not to be consideration and thus not subject to GST. ...
GST/HST Ruling
4 July 2000 GST/HST Ruling 8392 - Application of the GST/HST to Licence Fees
In our letter of July 7, 1999, to the Board we indicated that the $1/XXXXX was consideration for an exempt supply of a licence in accordance with paragraph 20(c) of Part VI of Schedule V to the Excise Tax Act (ETA). 11. ... The buyer (i.e. the agent of the Board) deducts from the consideration payable to the producer, the licence fee and remits the fee to the Board on behalf of the Producer. ... As in the above scenario, buyers are required to deduct from the consideration payable to the producers in respect of the supply of the XXXXX, a licence fee. ...
GST/HST Interpretation
1 November 2001 GST/HST Interpretation 32278 - Boarding of Bison in Canada
Where a barter transaction occurs, the value of the consideration for the supply made by one person is normally the fair market value of the property and/or services received from the other person. 3. ... In particular, pursuant to 164.1(2) of the Act, where, in the course of operating a feedlot that is a farming business within the meaning of the Income Tax Act, a person makes a supply of a service and the consideration for the supply (in this subsection referred to as the "total charge") includes a particular amount that is identified in the invoice or agreement in writing for the supply as being attributable to feed, (a) the provision of the feed shall be deemed to be a supply separate from the supply of the service and not to be incidental to the provision of any other property or service; (b) the portion, not exceeding 90%, of the total charge that is reasonably attributable to the feed and is included in the particular amount shall be deemed to be the consideration for the supply of the feed; and (c) the difference between the total charge and the consideration for the supply of the feed shall be deemed to be the consideration for the supply of the service. 5. ... Section 165 of Act requires every recipient of a taxable supply made in Canada to pay to Her Majesty the GST/HST on the value of the consideration for the supply except where the supply is zero-rated. ...
GST/HST Ruling
18 October 2002 GST/HST Ruling 35779 - Tax Status of Transcription Services
In this case, the person ceases to be a small supplier immediately before the consideration becomes due or is paid for the particular taxable supply that puts the person over the $30,000 threshold. Both of these calculations exclude consideration attributable to the sale of goodwill of a business, supplies of financial services, and supplies by way of sale of capital property. ... Please note that if the total consideration paid by XXXXX to XXXXX XXXXX, including the portion of the consideration that XXXXX XXXXX will pay to the medical transcribers, for the transcription services performed in whole or in part in Canada by XXXXX exceeds $30,000 Canadian in any four consecutive calendar quarters or in any one calendar quarter, XXXXX will be required to register for GST/HST purposes. ...