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Miscellaneous severed letter

24 February 1997 Income Tax Severed Letter 9700015 - Article 12 of United Kingdom Convention — videotapes

24 February 1997 Income Tax Severed Letter 9700015- Article 12 of United Kingdom Convention — videotapes Unedited CRA Tags Canada–U.K. Income Tax Convention Art. 12 SUMMARY: Amendment to a letter (document 942143) written by Revenue Canada in 1994 regarding an interpretation of paragraph 3 of Article 12 of the Canada–United Kingdom Income Tax Convention as it applies to royalties on videotapes. ... Convention- payments for the production and reproduction of works on videotape- correction of 942143, December 20, 1994 POSITION: See letter. ...
Miscellaneous severed letter

7 March 1991 Income Tax Severed Letter - Canada-U.K. Income Tax Convention - Determination of from What Shares Derive their Value

Income Tax Convention- Determination of from What Shares Derive their Value Unedited CRA Tags Canada–U.K. Income Tax Convention Art. 13 Dear Sirs: Re: Article 13 of the Canada-United Kingdom Income Tax Convention (the "Convention") This is in reply to your letter to the Non-Resident Taxation Division dated February 12, 1991 whereby you requested an opinion regarding the application of Article 13 of the Convention. ... However, we can make certain general observations concerning our interpretation of the provisions of Article 13 of the Convention which hopefully will be of assistance to you. ...
Miscellaneous severed letter

22 December 1989 Income Tax Severed Letter AC58817 - Canada-U.S. Income Tax Convention on Non-resident Withholding Tax on Computer Programs

Income Tax Convention on Non-resident Withholding Tax on Computer Programs 19(1) K. ... Income Tax Convention (1980) (the Convention) where the payment is a payment on or in respect of a copyright in respect of the production or reproduction of any literary work. ... Accordingly, Canada is required by virtue of the Convention to reduce the rate of withholding tax in respect of the computer software to 10 per cent. ...
Miscellaneous severed letter

8 September 1993 Income Tax Severed Letter 9315395 F - Convention France-Canada—"Personnes associées"

Séguin (613) 957-8953 A l'attention de XXXXXXXXXX Le 8 septembre 1993, Monsieur, La présente est en réponse à votre lettre du 19 mai dans laquelle vous demandez notre opinion concernant une disposition de la convention fiscale conclue par le Canada avec la France (la "Convention"). ... Nos commentaires Comme vous l'avez remarqué, l'expression "personnes associées" n'est pas définie ni dans la Convention ni dans la Loi. ... En effet, il semble difficile de concevoir que des personnes ayant un lien de dépendance puissent ne pas être des personnes associées au sens de la Convention. ...
Miscellaneous severed letter

7 November 1990 Income Tax Severed Letter - Canada-Italy Tax Convention

7 November 1990 Income Tax Severed Letter- Canada-Italy Tax Convention Unedited CRA Tags 110(1)(f)(i), 217, Canada-Italy Tax Convention Article XVIII Subject: Canada-Italy Tax Convention (the "Convention") We have been asked to reply to your memorandum of July 24, 1990 to Christine Savage, Acting Director, Provincial and International Relations Division concerning Article XVIII of the Convention which deals with pension receipts. ... Subparagraph 110(1)(f)(i) provides a deduction in computing taxable income for an amount exempt from income tax in Canada by virtue of a provision in a tax convention or agreement with another country that has the force of law in Canada. In summary for purposes of Article XVIII of the Convention, the calculation of the excess amount for purposes of the exemption and the gross amount referred to in paragraph 1(a) excludes certain pensions that are not subject to Part XIII tax. ...
Miscellaneous severed letter

28 July 1989 Income Tax Severed Letter AC73825 F - Convention fiscale entre le Canada et les États-Unis sur imposition des gains

Co. est-il imposable en vertu de la Convention? Vos prétentions Votre position est de considérer le gain en capital réalisé par U.S. ... Il est de notre avis que l'utilisation du terme "principalement" dans la disposition XIII(3)(b)(ii) de la Convention réfère à 50% ou plus. ... La disposition XIII(3)(b)(ii) de la Convention réfère à la notion de biens immeubles. ...
Miscellaneous severed letter

20 August 1990 Income Tax Severed Letter AC59352 - Withholding Tax on Payments to Entertainers under Canada-U.S. Income Tax Convention

Tax Convention (the "Convention") in the following situation. ... Your position is based upon the fact that without a permanent establishment in Canada, B Co. is exempt from the provisions of Article VII of the Convention which taxes business income earned in Canada and B Co. would not qualify as an Artiste or Athlete for the purposes of Article XVI of the Convention. As such, B Co. would be exempt from tax in Canada under the provisions of the Convention. ...
Miscellaneous severed letter

1 August 1990 Income Tax Severed Letter AC59682 - Canada-U.S. Income Tax Convention on Interest and Dividend Payments

Income Tax Convention on Interest and Dividend Payments 24(l) 5-9682 S. ... Income Tax Convention (1980) (the "Convention") We refer to your letter of February 27, 1990, in which you requested our views on the application of Article XX1 of the Convention to the hypothetical situation set out below. ... Pursuant to Article XXI of the Convention, the Funds are exempt from withholding tax under Part Kill of the Act on the interest and dividends paid to them by Canco. ...
Technical Interpretation - External

1 September 1989 External T.I. 73975 F - Non-Resident Withholding Tax Rate Under Canada-U.S. Income Tax Convention

Income Tax Convention Unedited CRA Tags 108(1) trust, 212(1), 245(2)(b)   September 1, 1989 International Audits Division Specialty Rulings   K.B. ... Income tax Convention (1942) (the "1942 Convention") and 25 percent under the Canada-U.S. Income Tax Convention (1980) (the "1980 Convention"). The case of Indalex Limited v. ...
Miscellaneous severed letter

7 August 1991 Income Tax Severed Letter - Pensions Received from Jamaica - Canada-Jamaica Income Tax Convention

7 August 1991 Income Tax Severed Letter- Pensions Received from Jamaica- Canada-Jamaica Income Tax Convention Unedited CRA Tags Canada-Jamaica Income Tax Convention article 19 Dear Sirs: Re: Article 19 Canada-Jamaica Income Tax Convention Request for Technical Interpretation This is in reply to your letter dated June 24, 1991 and our telephone conversations related thereto regarding a technical interpretation on the application of subparagraph 4(b) of Article 19 of the Canada-Jamaica Income Tax Convention (the "Convention"). ... Pursuant to subparagraph 4(b) of Article 19 of the Convention, pensions received from Jamaica from one of the three sources specified therein shall not be taxable in Canada so long as they are not subject to Jamaican tax. ... You have asked what is the maximum amount of pension income from Jamaica that can be received in a taxation year by a resident of Canada aged 65 or over and not be subject to tax in Canada pursuant to subparagraph 4(b) of Article 19 of the Convention. ...

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