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Miscellaneous severed letter
13 February 1990 Income Tax Severed Letter 59492A F - Canada-U.S. Income Tax Convention - Exemption
Income Tax Convention- Exemption Unedited CRA Tags n/a February 13, 1990 To: Montreal District Office From: Head Office Financial Industries Division Attention: Mr. ... Income Tax Convention ("Convention") Enclosed, for your information and use, are copies of our recent correspondence with 19(1) of the legal firm of 24(1) in Montreal, concerning 19(1) claim for an exemption from Canadian income tax under the Convention. ...
Technical Interpretation - External
30 November 1999 External T.I. 9825155 - CANADA-UK TAX CONVENTION
Income Tax Convention (the "Convention") We are writing in response to your letter of September 29, 1998 wherein you requested our views on the application Article 13 of the above-noted Convention in the circumstances described below. Background An individual (the "Taxpayer") is resident in the U.K for purposes of the Convention. ... Issues You have asked us whether any gain realized by the Taxpayer on the alienation of the shares of Canco is exempt from Canadian tax by virtue of Article 13 of the Convention. ...
Ruling
14 February 1991 Ruling 903681 F - Canada-U.S. Income Tax Convention
Income Tax Convention Unedited CRA Tags Canada/U.S. Treaty Art. 12, 212(1)(d)(iii) Dear Sirs: Re: Article XII of the Canada-United States Income Tax Convention. 1980 (the "Convention") This is in reply to your letter dated December 17, 1990. In our opinion, a payment arising in Canada made by a Canadian resident to a person resident in the United States (who does not have a permanent establishment in Canada) for services of an industrial, commercial or scientific character performed by the resident of the United States for the Canadian resident, which payment is dependent in whole or in part upon use, production or sales of goods or services, or profits and is a payment to which subparagraph 212(1)(d)(iii) applies, is not a "royalty" as defined in paragraph 4 of Article XII of the Convention. ...
Technical Interpretation - Internal
21 September 2000 Internal T.I. 2000-0045017 - Residency under income tax convention
Principal Issues: Whether individual was resident of the Dominican Republic under the Income Tax Convention. ... Our Comments We are in agreement with your conclusion that the taxpayer herein question is not a resident of the Dominican Republic under the Convention. ... Accordingly, the taxpayer is not entitled to relief from Canadian tax pursuant to the Convention. ...
Ruling
6 September 1990 Ruling EACC9681 F - Canada-U.S. Income Tax Convention - Dependent Personal Services
Income Tax Convention- Dependent Personal Services Unedited CRA Tags n/a EACC9681 SUBPARAGRAPH 2(a) OF ARTICLE XV OF THE CANADA-UNITED STATES INCOME TAX CONVENTION, 1980 (THE "CONVENTION")- DEPENDENT PERSONAL SERVICES Subparagraph 2(a) of Article XV of the Convention provides for an exemption on remuneration "exercised in a calender year" that does not exceed $10,000. ... REVENUE CANADA'S POSITION Subparagraph 2(a) of Article XV of the Convention exempts a resident of one Contracting State from income tax in the other Contracting State on remuneration derived in respect of an employment exercised in a calendar year in the other contracting state if such remuneration does not exceed $10,000. ...
Technical Interpretation - External
22 January 1990 External T.I. 59190 F - Canada-U.S. Income Tax Convention - Retirement Compensation Arrangement
Income Tax Convention- Retirement Compensation Arrangement Unedited CRA Tags 153(1), 212(1)(j) 19(1) File No. 5-9190 D.S. ... Convention. It is our view that the rate of tax on the amounts paid to a U.S. resident in a situation such as that described above would be 25%. ... Convention that provides guidelines as to what constitutes a "retirement plan" for the purpose of paragraph 3 of Article XVIII thereof. ...
Technical Interpretation - External
24 October 1990 External T.I. 901595 F - Canada-U.S. Income Tax Convention and Large Corporations Tax
Income Tax Convention and Large Corporations Tax Unedited CRA Tags 181.1(3)(d), 181.4(a) 24(1) 901595 G. Arsenault (613) 957-2126 19(1) October 24, 1990 Dear Sirs: Re: Canada- United States Income Tax Convention, 1980 (the "Convention") and the Proposed Large Corporations Tax This is in reply to your letter dated July 13, 1990. ... Article XXIII of the Convention applies in respect of the Proposed Large Corporations Tax. 2. ...
Technical Interpretation - External
27 June 1996 External T.I. 9605225 - ARTICLE XII US CONVENTION - PAYMENTS FOR USE OF DATABASE
27 June 1996 External T.I. 9605225- ARTICLE XII US CONVENTION- PAYMENTS FOR USE OF DATABASE Unedited CRA Tags ART XII Please note that the following document, although believed to be correct at the time of issue, may not represent the current position of the Department. ... Convention- Are payments for the use of a database for the use of information concerning commercial experience? ... Convention (the ("Convention") We are writing in response to your letter dated February 1, 1996 in respect of payments made for access to a U.S. database, which followed up on our letter to you of January 22, 1996. ...
Technical Interpretation - External
2 November 1990 External T.I. 902530 F - Canada-U.K. Income Tax Convention
Income Tax Convention Unedited CRA Tags n/a 24(1) 902530 G. Arsenal (613) 957-2126 19(1) November 2, 1990 Dear Sirs: Re: Canada-United Kingdom Income Tax Convention (the "Convention") This is in reply to your letter dated September 14, 1990 thereby you asked the following questions concerning paragraph 3 of Article 5 of the Convention: 1. ... Paragraph 3 of Article 5 of the Convention must be interpreted by giving meaning to the words used therein. ... In our opinion, the phrase "shall not be deemed to include" in the introduction of paragraph 3 of Article 5 of the Convention is synonymous with "shall be deemed not to include". ...
Technical Interpretation - External
2 November 1989 External T.I. 74015 F - Canada-U.S. Income Tax Convention
Income Tax Convention Unedited CRA Tags n/a November 2, 1989 International Audits Division Specialty Rulings S.K. ... Income Tax Convention (1980) (the "new treaty") Canada-U.S. Income Tax Convention (1942) (the "old treaty") This is in response to your memorandum of June 9, 1989. ...