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Conference
14 May 2019 CLHIA Roundtable Q. 14, 2019-0799191C6 - CLHIA Q. 14 - IPPs and pension splitting
The definition of “permissible distributions” in paragraph 8502(d) of the Income Tax Regulations (“ITR”) seems to provide that the portion of the IPP minimum amount that is not described as a “payment of benefits in accordance with the plan as registered” is considered to be a “permissible distribution”. ...
Technical Interpretation - External
29 July 2019 External T.I. 2018-0784701E5 - Rent from real/immovable properties - furnishings
In such case, it is our view that the entire amount of the rental payments can be considered to be “rent from real or immovable properties” for purposes of that definition in subsection 122.1(1) of the Act. ...
Ministerial Correspondence
30 July 2019 Ministerial Correspondence 2019-0814471M4 - Deductible Union Dues
30 July 2019 Ministerial Correspondence 2019-0814471M4- Deductible Union Dues Unedited CRA Tags 8(1)(i) Principal Issues: Whether certain amounts that were paid by an individual would be considered union dues that would be deductible under paragraph 8(1)(i) of the Act. ...
Technical Interpretation - External
23 January 2020 External T.I. 2019-0830781E5 - Charitable gift annuity and 60(l) rollover
We have carefully considered the information that you have provided, but our position remains unchanged. ...
Technical Interpretation - Internal
14 April 2020 Internal T.I. 2019-0834041I7 - Disability Tax Credit and non-resident individual
Reasons: A non-resident individual that does not have any Canadian source income would not be considered a “taxpayer” as it is defined in the Act and therefore would not be eligible for the Disability Tax Credit. ...
Technical Interpretation - Internal
31 August 2020 Internal T.I. 2020-0851071I7 - Hong Kong Cash Payout Scheme
According to the Scheme website, the payment is not considered “income or profits derived from an office or employment or from carrying on a business or letting of premises” and therefore is not subject to tax in Hong Kong. ...
Technical Interpretation - External
2 August 1990 External T.I. 900370 F - Proceeds of Disposition of an Interest in a Life Insurance Policy
As all of these factors would have to be considered in reference to any particular insurance policy, we are unable to provide a more specific response to your query. ...
Ministerial Letter
21 December 1989 Ministerial Letter 58678 F - Wage Loss Replacement Plans
You have requested confirmation that wage loss replacement plan will be considered an employee-pay-all plan for the period during which the following three criteria are present: 1. ...
Technical Interpretation - External
18 August 1989 External T.I. 58315 F - Recapture of Capital Cost Allowance - Allocation Between Active Business and Rental Income
Once a company ceases to carry on an active business and commences to earn income from rentals, any income received by the company from the disposition of property used in the rental operation, would be considered to be income from that source. ...
Ruling
18 December 1990 Ruling 902881 F - Deductibility of Expenditures of Engineering Business
The cost of purchasing books which relate to your business is generally considered to be a capital expenditure. ...