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Current CRA website
Current income tax interpretation bulletins (ITs)
The reader should, therefore, consider such comments in light of the relevant provisions of the law in force for the particular taxation year being considered, taking into account the effect of any relevant amendments to those provisions or relevant court decisions occurring after the date on which the comments were made. ...
Current CRA website
Current income tax interpretation bulletins (ITs)
The reader should, therefore, consider such comments in light of the relevant provisions of the law in force for the particular taxation year being considered, taking into account the effect of any relevant amendments to those provisions or relevant court decisions occurring after the date on which the comments were made. ...
Archived CRA website
ARCHIVED - Employees Profit Sharing Plans - Payments Computed by Reference to Profits
Similarly, court decisions subsequent to the date of the IT should be considered when determining the relevancy of the comments in the IT. ...
Current CRA website
Current income tax interpretation bulletins (ITs)
The reader should, therefore, consider such comments in light of the relevant provisions of the law in force for the particular taxation year being considered, taking into account the effect of any relevant amendments to those provisions or relevant court decisions occurring after the date on which the comments were made. ...
Current CRA website
Current income tax interpretation bulletins (ITs)
The reader should, therefore, consider such comments in light of the relevant provisions of the law in force for the particular taxation year being considered, taking into account the effect of any relevant amendments to those provisions or relevant court decisions occurring after the date on which the comments were made. ...
Archived CRA website
ARCHIVED - Customer Lists and Ledger Accounts
In this case the dockets are considered to be tangible property and the portion of the purchase price allocated to them is included in Class 8 of Schedule B of the Regulations. ...
Archived CRA website
ARCHIVED - Buy-sell agreements
The rules in subsection 70(5) apply to property that is subject to a buy-sell agreement, unless the property can be considered to vest indefeasibly in another person pursuant to subsection 70(6), 70(9), 70(9.2) or 70(9.6) or paragraph 70(5.2)(d) or (f). ...
Archived CRA website
ARCHIVED - Partnerships - Partners not Dealing at Arm's Length
Pursuant to subsection 103(1.1) where two or more partners not dealing with each other at arm's length (see IT-419) have agreed to share any income or loss from any activity of the partnership in unreasonable proportions, the Department will adjust each partner's share to an amount which is considered reasonable in the circumstances. ...
Archived CRA website
ARCHIVED - Table: Type of record and length of retention
Unless otherwise noted all references are to the Income Tax Regulations. 3 Charities are considered persons. ...
Current CRA website
Educating charities about the risks of terrorist abuse
An organization will not be considered charitable at law if its purposes or activities are illegal or contrary to public policy. ...