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Technical Interpretation - External summary
21 September 2012 External T.I. 2012-0457951E5 - Fee for Information -- summary under Article 12
However, paragraph 6 of Article VII of the Treaty states that if an element of the business profits is dealt with separately in other provisions of the Treaty, then those provisions are to be considered. ...
Technical Interpretation - External summary
25 September 2013 External T.I. 2013-0497011E5 F - OETC - Qualifying period -- summary under Subsection 122.3(1)
. … Periods of absence from the workplaces abroad, in order to be included in the qualifying period, will generally have to be related to the contract with respect to the activities that are qualifying or consequential to the latter and the contract must be of a duration of more than six consecutive months in order for the employer to be considered to have carried on a business outside Canada for the purpose of the application of the OETC. ...
Technical Interpretation - Internal summary
3 October 2014 Internal T.I. 2014-0532051I7 - Rent and Part XIII Tax -- summary under Paragraph 212(1)(d)
…The payments by the Tenant for the utilities… would not be considered payments for the use of the Real Property but rather payments for the use of the services provided by the utility company…[and] would not be subject to withholding…. ...
Ruling summary
2013 Ruling 2013-0488351R3 - Conversion of a MFC to a MFT -- summary under Subsection 21(1)
" Opinion that: [A]n election made by GPco under subsections 21(1) and (3)...in respect of the depreciable property held by MLP would be considered a valid election provided that GPco had authority to act for the MLP and the election was made or executed on behalf of GPco and each other person who was a member of MLP during the fiscal period. ...
Technical Interpretation - External summary
7 December 2012 External T.I. 2012-0440411E5 F - Performing services in Canada -- summary under Subsection 104(2)
Thus, when that place is situated outside Canada, that person will not generally be considered as being an employee in Canada, and on that basis no source deductions are required to be made. ...
Conference summary
11 October 2013 APFF Roundtable, 2013-0495651C6 F - Revenu fractionné -- summary under Paragraph (c)
In such a situation, we are of the view that only the part of the income distributed to a specified individual that it is reasonable to consider as income described by clause (c)(ii)(C)of the definition of "split income" in subsection 120.4 would be considered as "split income" for the purposes of subsection 120.4(1). ...
Technical Interpretation - External summary
8 September 2014 External T.I. 2013-0482991E5 - 15(2) and related provisions -- summary under Subsection 15(2.11)
" After stating that "Parliament's specific requirement that an amount become owing after March 28, 2012, as set out in paragraph 15(2.11)(b), in order for the amount to qualify for PLOI treatment must be respected," CRA responded: [I]f a pre-March 28, 2012, debt is replaced with a newer debt of the same or substantially similar amount, the transactions may constitute a series of loans or other transactions as discussed in ¶ 28 of IT-119R4 … However, as discussed in ¶ 29 of IT-119R4... all of the relevant factors would need to be considered to determine whether a series of loans or other transactions and repayments existed and bona fide repayments would not be seen as part of a series of loans or other transactions and repayments. ...
Ruling summary
2014 Ruling 2012-0462801R3 - Application of Part XIII -- summary under Subparagraph 212(1)(d)(vi)
Ruling that the related licence fee paid by Canco to Forco will be exempt under s. 212(1)(d)(vi), as "payment for distribution rights in this case are considered copyright royalties as the right to distribute is viewed as a component of the right to reproduce the software or is ancillary to such a right. ...
Conference summary
5 October 2012 APFF Roundtable Q. 17, 2012-0454111C6 F - Power of attorney and acquisition of control -- summary under Paragraph 251.2(2)(a)
Furthermore, we are of the view that a power of attorney granted with a view to incapacity should be considered to be an "external document" (in relation to the constating documents of the corporation) in the determination of the de jure control of a corporation. ...
Technical Interpretation - External summary
18 June 2015 External T.I. 2015-0578071E5 F - Reimbursement of overpayment of QPIP benefits -- summary under Subsection 23(2)
In this context, the presence of extremely difficult situations, of financial hardship associated with extenuating circumstances, incorrect action or advice of officials of the Canada Revenue Agency, and unintended outcomes resulting from legislative provisions or other unusual circumstances have generally been considered in this determination. ...