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Ruling

1998 Ruling 9731833 - DISPOSITION OF PROPERTY TO RELATED PERSON

To the best of your knowledge and that of the taxpayers involved, none of the issues involved in this request: (a) is involved in an earlier return of the taxpayer or a related person, (b) is being considered by a tax services office or taxation centre in connection with a tax return already filed by the taxpayer or a related person, (c) is under objection, (d) is before the courts or, if a judgement has been issued, the time limit for appeal has not expired, and (e) is the subject of a ruling previously issued by the Income Tax Rulings and Interpretations Directorate. ... For greater certainty, the proposed transactions described herein, in and by themselves, will not be considered to result in any disposition or increase in interest described in any of subparagraphs 55(3)(a)(i) to (v). ...
Ruling

1998 Ruling 9733833 - 55(3)(A) RULING

To the best of your knowledge, and that of the taxpayers involved, none of the issues contained herein: (i) is in an earlier return of the taxpayers or a related person; (ii) is being considered by a tax services office or taxation centre in connection with a previously filed tax return of the taxpayers or a related person; (iii) is under objection by the taxpayers or a related person; (iv) is before the courts or, if a judgement has been issued, the time limit for appeal to a higher court has not expired; or (v) is the subject of a ruling previously issued by the Directorate. ... For greater certainty, the proposed transactions described in paragraphs 5 to 12 herein, in and by themselves, will not be considered to result in any disposition or increase in interest described in any of subparagraphs 55(3)(a)(i) to (v) of the Act. ...
Ruling

1998 Ruling 9719943 - BUTTERFLY REORGANIZATION

To the best of your knowledge, and that of the taxpayers involved, none of the issues contained herein is: (i) dealt with in an earlier return of the taxpayers or a related person; (ii) being considered by a tax services office or taxation centre in connection with a previously filed tax return of the taxpayers or a related person; (iii) under objection by the taxpayers or a related person; (iv) subject to a ruling previously issued by the Income Tax Rulings & Interpretations Directorate; or v) before the courts or, if a judgement has been issued, the time limit for appeal to a higher court has not expired. ... For greater certainty, any tax accounts of DC, including the balance of its refundable dividend tax on hand, its capital dividend account and any losses available for carryforward, will not be considered property of DC for the purposes of the transactions described below. 21. ...
Ruling

1998 Ruling 9800383 - XXXXXXXXXX DPS

To the best of your knowledge none of the issues involved in this ruling request is being considered by a tax services office or taxation centre in connection with a tax return already filed or is under objection or appeal or the subject of any ruling, other than the First Ruling, previously issued by the Directorate with respect to the Debtor or Trustco. ... Provided the Purchased Debt arose from one or more loans or "lending assets", within the meaning of subsection 248(1) of the Act, made or acquired by the LENDER in the course of its money-lending business, all or any part of the Purchased Debt reacquired by the LENDER in circumstances described in 31 above will be considered to have been acquired by the LENDER in the ordinary course of its business of lending money for the purposes of paragraphs 20(1)(l) and 20(1)(p) of the Act, I. ...
Ruling

1998 Ruling 9832393 - CANADIAN FILM OR VIDEO PRODUCTION TAX CREDIT

To the best of your knowledge and that of the taxpayers involved, none of the issues involved in this ruling (i) is in an earlier return of the taxpayers or a related person, (ii) is being considered by a tax services office or taxation centre in connection with a previously filed tax return of the taxpayers or a related person, (iii) is under objection by the taxpayers or a related person, (iv) is before the courts or, if a judgment has been issued, the time limit for appeal to a higher court has not expired, (v) is the subject of a ruling previously issued by the Directorate. ... THC will be considered to be carrying on business in Canada when it is a partner of the Production Partnership. ...
Miscellaneous severed letter

1998 Income Tax Severed Letter 980551B - CANADIAN FILM OR VIDEO PRODUCTION TAX CREDIT

To the best of your knowledge and that of the taxpayers involved, none of the issues involved in this ruling (i) is in an earlier return of the taxpayers or a related person, (ii) is being considered by a tax services office or taxation centre in connection with a previously filed tax return of the taxpayers or a related person, (iii) is under objection by the taxpayers or a related person, (iv) is before the courts or, if a judgment has been issued, the time limit for appeal to a higher court has not expi red, (v) is the subject of a ruling previously issued by the Directorate. ... THC will be considered to be carrying on business in Canada when it is a partner of the Production Partnership. ...
Ruling

1998 Ruling 9802483 - 21-YEAR RULE - ESTATE FREEZE MADE BY A TRUST

To the best of your knowledge, and that of the taxpayers involved, none of the matters considered in this ruling request are: (a) in an earlier return of the taxpayers or related persons; (b) being considered by a tax services office or tax centre in connection with a previously filed tax return of the taxpayers or related persons; (c) under objection by the taxpayers or related persons; (d) before the courts; or (e) the subject of a ruling previously issued by this Directorate to the taxpayers or related persons. ...
Ruling

1999 Ruling 9829163 - RELATED GROUP LOSS UTILIZATION SCHEME

We understand that to the best of your knowledge, and that of the taxpayers involved, none of the issues contained herein: (i) is in an earlier return of the taxpayers or a related person (ii) is being considered by a tax services office or taxation centre in connection with a previously filed tax return of the taxpayers or a related person; (iii)is under objection by the taxpayers or a related person; (iv) is before the courts or, if a judgment has been issued, the time limit for appeal to a higher court has not expired; (v) is the subject of a ruling previously issued by the Directorates; or (vi) is being considered by a Revenue Canada Office in connection with a GSTIHST return already filed. ...
Ruling

1999 Ruling 9903543 - TOTAL RETURN SWAPS & MUTUAL FUND TRUST

4 Where a mutual fund trust is exempted by Securities Commissions from section 11.5 of National Policy #39 and given approval for quarterly retractions, will the requirements of 108(2)(a)(i) be considered to be met? ... To the best of your knowledge and that of the taxpayers involved, none of the issues involved in this ruling i) is in an earlier return of the taxpayer(s) or a related person, ii) is being considered by a tax services office or taxation centre in connection with a previously filed tax return of the taxpayer(s) or a related person, iii) is under objection by the taxpayer(s) or a related person, iv) is before the courts or, if a judgment has been issued, the time limit for appeal to a higher court has not expired, and v) is the subject of a ruling previously issued by Revenue Canada. ...
Ruling

2019 Ruling 2018-0772921R3 - Loss utilization

We understand that, to the best of your knowledge and that of the taxpayers involved, none of the issues involved in the Request: (i) is in an earlier return of the taxpayer or a related person; (ii) is being considered by a Tax Services Office or Taxation Center in connection with a previously filed tax return of the taxpayer or a related person; (iii) is under objection by the taxpayer or a related person; (iv) is before the courts or, if a judgment has been issued, the time limit for appeal to a higher court has not expired; or (v) is the subject of an advance income tax ruling previously issued by the Directorate. ... For greater certainty, the Proposed Transactions described herein, in and by themselves, will not be considered to result in any disposition or increase in interest described in any of subparagraphs 55(3)(a)(i) to (v). ...

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