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Scraped CRA Website

ARCHIVED - Spousal or Common-Law Partner Registered Retirement Savings Plans

Reasons for the Revision We have revised the bulletin to reflect amendments to the Income Tax Act and to take into consideration S.C. 2000, c.12 (formerly Bill C-23), which was designed to amend many statutes, among them the Income Tax Act, to provide similar tax treatment to same-sex common-law couples as is provided to opposite sex couples. ...
Scraped CRA Website

ARCHIVED - Employees Profit Sharing Plans - Payments Computed by Reference to Profits

Other formulas will receive consideration, but a formula must not result in merely a nominal employer contribution so that the plan becomes primarily a savings plan for employees. ...
Scraped CRA Website

ARCHIVED - Income of Deceased Persons - Rights or Things

A sale of a right or thing for good and valuable consideration does not come within the meaning of the phrase "transferred or distributed" as used in subsection 70(3). ...
Scraped CRA Website

ARCHIVED - Inter-vivos gifts of capital property to individuals directly or through trusts

A gift is generally defined as a voluntary transfer of property without consideration. ...
Current CRA website

Newsletter no. 93-2, Foreign Service

Of course, this consideration will not be required if the period in question is acceptable under any other criteria set out in this newsletter. ...
Scraped CRA Website

ARCHIVED - Registered Charities Newsletter No. 30 - Summer 2008

This document sets out the proposed policy of the CRA’s Charities Directorate concerning the reporting guidelines for fundraising expenses and the process and considerations for determining whether a registered charity’s fundraising is acceptable. ...
Archived CRA website

ARCHIVED - Registered Charities Newsletter No. 15 - Spring 2003

Although the rules regarding political activities are under consideration with a view to expanding permissible activities, organizations that substantially carry on political activities, as opposed to charitable activities, do not qualify for registration as charities nor would they under the proposed rules. ...
Scraped CRA Website

ARCHIVED - Registered Charities Newsletter No. 16 - Fall 2003

After the valuation day, a person (other than a qualified donee) who receives an amount from the charity will—unless the amount is included in items 1 to 3 or is consideration given by the person in respect of such an amount—be jointly and severally liable with the charity for any related revocation tax payable. ...
Scraped CRA Website

ARCHIVED - Registered Charities Newsletter - Autumn 2001- No. 11 - Fall 2002

There are seven fundamental rights: fair treatment, courtesy and consideration, privacy and confidentiality, bilingual service, information, entitlements, and formal review. ...
Scraped CRA Website

ARCHIVED - Death Benefits

The addition of the definition of "qualifying payment" in former paragraph 61(4)(c), for purposes of an IAAC, effectively terminated the deduction available under subsection 61(1) for single payments, such as death benefits, paid after November 12, 1981, in consideration for an IAAC, since a "qualifying payment" generally only includes a single payment made before November 13, 1981. ...

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