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Ruling summary

2007 Ruling 2005-0149681R3 - Article XXI of Canada-US Tax Convention -- summary under Article 21

2007 Ruling 2005-0149681R3- Article XXI of Canada-US Tax Convention-- summary under Article 21 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 21 Activities undertaken in Canada, including through leased premises, that related primarily to fund raising would not constitute a business of the U.S. exempt organization. ...
Technical Interpretation - Internal summary

24 March 2016 Internal T.I. 2016-0634191I7 - Income from a U.S. trust -- summary under Income Tax Conventions

24 March 2016 Internal T.I. 2016-0634191I7- Income from a U.S. trust-- summary under Income Tax Conventions Summary Under Tax Topics- Treaties- Income Tax Conventions all U.S. ...
Technical Interpretation - External summary

17 May 2010 External T.I. 2009-0346011E5 F - Immeuble - Convention Canada - Portugal -- summary under Paragraph (a)

17 May 2010 External T.I. 2009-0346011E5 F- Immeuble- Convention Canada- Portugal-- summary under Paragraph (a) Summary Under Tax Topics- Income Tax Act- Section 54- Principal Residence- Paragraph (a) Portuguese home of Canadian resident could qualify for the principal residence exemption A Portuguese citizen and Canadian resident disposes of a (capital property) immovable at a gain that is not taxable under Portuguese tax law. Before addressing the application of Art. 13 and 23 of the Portugal-Canada Convention, CRA noted that if the property qualified as the individual’s principal residence, the gain could be exempted under s. 40(2)(b). ...
Technical Interpretation - External summary

16 June 2014 External T.I. 2014-0516451E5 - Application of Canada-Israel Tax Convention -- summary under Article 4

16 June 2014 External T.I. 2014-0516451E5- Application of Canada-Israel Tax Convention-- summary under Article 4 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 4 Canadian corporation a Canadian "national" under Canada-Israel tie-breaker If the "mind and management" of a BC venture capital corporation (which was incorporated in Canada) resided in Israel, resort would be necessary to the tie-breaker rule in Art. ...
Conference summary

28 May 2015 IFA Roundtable Q. 12, 2015-0581521C6 - IFA 2015 Q.12: Canada-Switzerland Treaty -- summary under Income Tax Conventions

28 May 2015 IFA Roundtable Q. 12, 2015-0581521C6- IFA 2015 Q.12: Canada-Switzerland Treaty-- summary under Income Tax Conventions Summary Under Tax Topics- Treaties- Income Tax Conventions resolution of conflicting French and English Treaty versions of Swiss Treaty in taxpayer's favour A corporation resident in Switzerland ("Swissco") wholly-owns "Holdco," which wholly-owns "Canco"). ...
Technical Interpretation - External summary

30 March 2017 External T.I. 2015-0609951E5 F - Article 18 of the Canada-Turkey Income Tax Convention -- summary under Pension

30 March 2017 External T.I. 2015-0609951E5 F- Article 18 of the Canada-Turkey Income Tax Convention-- summary under Pension Summary Under Tax Topics- Other Legislation/Constitution- Federal- Income Tax Conventions Interpretation Act- Section 5- Pension RRSP annuity payments to Turkish resident were subject to Pt XIII tax as pension payments RRSP annuity payments made to a resident of Turkey were deemed by s. 5 to be pension payments (as “pension” was not specifically defined in the Canada-Turkey Treaty), so that the payments were subject to Canadian withholding at the reduced rate described in Art. 18, para. 2. ...
Technical Interpretation - External summary

27 June 1996 External T.I. 9605225 - ARTICLE XII US CONVENTION - PAYMENTS FOR USE OF DATABASE -- summary under Article 12

27 June 1996 External T.I. 9605225- ARTICLE XII US CONVENTION- PAYMENTS FOR USE OF DATABASE-- summary under Article 12 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 12 Payments made by a Canadian resident user to a U.S. resident supplier for accessing an information data base located in the U.S. via a modem located in Canada would be exempt as being for the use of, or the right to use, information concerning industrial, commercial or scientific experience. ...
Technical Interpretation - External summary

30 November 1999 External T.I. 9825155 - CANADA-UK TAX CONVENTION -- summary under Article 13

30 November 1999 External T.I. 9825155- CANADA-UK TAX CONVENTION-- summary under Article 13 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 13 Where an individual resident of the U.K. owns all the shares of a private Canadian corporation that, in turn, has as its principal asset less than 1% of the shares of a real estate company that is publicly traded on The Toronto Stock Exchange, the exclusion for shares deriving their value "indirectly" from Canadian real estate would apply to a disposition of the shares of the private company even though a direct sale of the shares of the public corporation would be exempt from Canadian capital gains tax. ...
Technical Interpretation - External summary

10 November 2000 External T.I. 1999-0008335 F - inclusion revenu exonéré - convention fiscale -- summary under Paragraph 81(1)(a)

10 November 2000 External T.I. 1999-0008335 F- inclusion revenu exonéré- convention fiscale-- summary under Paragraph 81(1)(a) Summary Under Tax Topics- Income Tax Act- Section 81- Subsection 81(1)- Paragraph 81(1)(a) requirement to include a treaty-exempt receipt in income Regarding a retirement annuity received by a Canadian resident from a French corporation that was exempted under Article 18 of the Canada-France Tax Convention, CCRA indicated that, by virtue of s. 81(1)(a) (and as confirmed by Swantje) the taxpayer was required to include the retirement annuity in income under s. 56, before taking a deduction under s. 110(1)(f). ...
Ruling summary

2012 Ruling 2012-0435211R3 - Article XXIX-A(3) of the Canada-US Tax Convention -- summary under Article 10

2012 Ruling 2012-0435211R3- Article XXIX-A(3) of the Canada-US Tax Convention-- summary under Article 10 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 10 Holdco, which had been a listed U.S. company, was taken private by L5, which was a fund whose members are not known. ...

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