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Administrative Policy summary

84 C.R. - Q.16 -- summary under Taxpayer

.- Q.16-- summary under Taxpayer Summary Under Tax Topics- Income Tax Act- Section 248- Subsection 248(1)- Taxpayer "taxpayer" in s. 20(1)(j) is considered to include a partnership where a loan previously has been included in the partnership's income. ...
Administrative Policy summary

84 C.R. - Q.50 -- summary under Subsection 87(8.1)

.- Q.50-- summary under Subsection 87(8.1) Summary Under Tax Topics- Income Tax Act- Section 87- Subsection 87(8.1) Where one or more predecessor corporations continue in the form of one corporate entity, that corporate entity is considered to be a new foreign corporation. ...
Administrative Policy summary

93 C.P.T.J. - Q.23 -- summary under Paragraph 6(1)(a)

.- Q.23-- summary under Paragraph 6(1)(a) Summary Under Tax Topics- Income Tax Act- Section 6- Subsection 6(1)- Paragraph 6(1)(a) Where a vehicle (whether owned by the employee or the employer) is regularly required to be used during business hours in the carrying out of employment duties, the value of a parking facility provided by the employer for the vehicle is not considered to be a taxable benefit. ...
Administrative Policy summary

Policy Statement CPS-019 "What is a Related Business?" 31 March 2003 -- summary under Business

" 31 March 2003-- summary under Business Summary Under Tax Topics- Income Tax Act- Section 248- Subsection 248(1)- Business Although most fundraising activities are business activities, a fundraising event generally will not be considered to "recur with such regularity and frequency that it amounts to carrying on a business" (para. 12). ...
Administrative Policy summary

88 CPTJ - Q.10 -- summary under Canadian Manufacturing and Processing Profits

88 CPTJ- Q.10-- summary under Canadian Manufacturing and Processing Profits Summary Under Tax Topics- Income Tax Act- Section 125.1- Subsection 125.1(3)- Canadian Manufacturing and Processing Profits The treatment of sour gas by a gas plant is considered to be processing because there would normally be by-products that would be derived from such processing. ...
Administrative Policy summary

88 C.R. - "Finance and Leasing" - "Interest" - "Participating Loans" -- summary under Paragraph 20(1)(c)

.- "Finance and Leasing"- "Interest"- "Participating Loans"-- summary under Paragraph 20(1)(c) Summary Under Tax Topics- Income Tax Act- Section 20- Subsection 20(1)- Paragraph 20(1)(c) Where participating payments are limited to a percentage of the principal amount reflecting commercial interest rates, then the amounts can be considered to be referable to the principal amount. ...
Administrative Policy summary

November 1991 Memorandum (Tax Window, No. 12, p. 21, ¶1570) -- summary under Class 28

November 1991 Memorandum (Tax Window, No. 12, p. 21, ¶1570)-- summary under Class 28 Summary Under Tax Topics- Income Tax Regulations- Schedules- Schedule II- Class 28 An acquisition of equipment will not be considered a "major expansion" where it increases or recovery at a mine by more than 25% but there is no mill. ...
Administrative Policy summary

November 1991 Memorandum (Tax Window, No. 12, p. 21, ¶1570) -- summary under Class 41

November 1991 Memorandum (Tax Window, No. 12, p. 21, ¶1570)-- summary under Class 41 Summary Under Tax Topics- Income Tax Regulations- Schedules- Schedule II- Class 41 An acquisition of equipment will not be considered a "major expansion" where it increases recoveries at a mine by more than 25% but there is no mill. ...
Administrative Policy summary

88 C.R. - "Finance and Leasing" - "Interest" - "Purchase of Common Shares" -- summary under Paragraph 20(1)(c)

.- "Finance and Leasing"- "Interest"- "Purchase of Common Shares"-- summary under Paragraph 20(1)(c) Summary Under Tax Topics- Income Tax Act- Section 20- Subsection 20(1)- Paragraph 20(1)(c) Interest on money borrowed in order to purchase common shares normally is considered to be deductible on the basis that the potential return to the common shareholder may exceed his borrowing cost. ...
Administrative Policy summary

Income Tax Technical News, No. 34, 27 April 2006 under "Delaware Revised Uniform Partnership Act" -- summary under Section 96

Income Tax Technical News, No. 34, 27 April 2006 under "Delaware Revised Uniform Partnership Act"-- summary under Section 96 Summary Under Tax Topics- Income Tax Act- Section 96 Delaware LPs with separate personality are not corps Partnerships formed under the DRUPA or DRULPA normally would be considered to be partnerships for purposes of the Act. ...

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