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Administrative Policy summary

91 C.R. - Q.1 -- summary under Article 10

.- Q.1-- summary under Article 10 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 10 A U.S. corporation holding shares through a U.S. partnership will not be eligible for the 10% rate. ...
Administrative Policy summary

1 May 1991 Memorandum (Tax Window, No. 3, p. 25, ¶1228) -- summary under Article 11

1 May 1991 Memorandum (Tax Window, No. 3, p. 25, ¶1228)-- summary under Article 11 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 11 Discussion of modification to position contained in 4 September 1990 memorandum. ...
Administrative Policy summary

93 C.M.TC - Q. 11 -- summary under Tax Benefit

93 C.M.TC- Q. 11-- summary under Tax Benefit Summary Under Tax Topics- Income Tax Act- Section 245- Subsection 245(1)- Tax Benefit Where a non-resident of Canada enters into a series of transactions designed primarily to secure an exemption or reduction from Canadian tax under an income tax convention, RC may seek to apply the general anti-avoidance rule to deny any tax benefit that such transactions would otherwise produce. ...
Administrative Policy summary

IT-468R "Management or Administration Fees Paid to Non-residents" (Archived) 29 December 1999 -- summary under Article 7

IT-468R "Management or Administration Fees Paid to Non-residents" (Archived) 29 December 1999-- summary under Article 7 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 7 Where the treaty does not contain a specific article on management or administration fees, such fees paid to the non-resident will, to the extent they are reasonable, be considered to be covered by the business profits article. ...
Administrative Policy summary

IC 75-6R "Required Withholding from Amounts Paid to Non-Resident Persons Performing Services in Canada" -- summary under Article 14

IC 75-6R "Required Withholding from Amounts Paid to Non-Resident Persons Performing Services in Canada"-- summary under Article 14 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 14 Where an individual is present in Canada for a period not exceeding 60 days and is not entering Canada on a recurring basis, the individual will not be considered to have a fixed base in Canada. ...
Administrative Policy summary

1994 A.P.F.F. Round Table, Q. 44 -- summary under Article 5

Round Table, Q. 44-- summary under Article 5 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 5 "The Department usually considers that, where the Canadian activities of a foreign business are carried on through an organized and structured sales force, the sales force may represent for the non-resident sufficient substantial presence in Canada to be considered a permanent place of business and thus a permanent establishment. ...
Administrative Policy summary

4 March 1993 Memorandum (Tax Window, No. 30, p. 18, ¶2472) -- summary under Article 10

4 March 1993 Memorandum (Tax Window, No. 30, p. 18, ¶2472)-- summary under Article 10 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 10 A Canadian resident will not be entitled to a foreign tax credit or to a refund of ACT from the U.K. authorities with respect to a stock dividend received from a U.K. corporation. ...
Administrative Policy summary

88 C.R. - Q.57 -- summary under Non-Business-Income Tax

.- Q.57-- summary under Non-Business-Income Tax Summary Under Tax Topics- Income Tax Act- Section 126- Subsection 126(7)- Non-Business-Income Tax To the extent that a tax-sparing provision within a Convention deems an amount to have been paid to the government of a foreign country, the taxes spared will qualify as a "non-business income tax. ...
Administrative Policy summary

88 C.R. - Q.57 -- summary under Subsection 20(12)

.- Q.57-- summary under Subsection 20(12) Summary Under Tax Topics- Income Tax Act- Section 20- Subsection 20(12) Treaty inapplicability As s. 20(12) provides for a deduction from income and not from tax, Conventions which provide for "a deduction from the tax on the income of that person" for taxes that have been spared will not render s. 20(12) applicable. ...
Administrative Policy summary

IC-6R2 para. 95 "Required Withholding from Amounts Paid to Non-Resident Persons Performing Services in Canada" -- summary under Article 15

IC-6R2 para. 95 "Required Withholding from Amounts Paid to Non-Resident Persons Performing Services in Canada"-- summary under Article 15 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 15 CRA has adopted the OECD position that the words "borne by" mean that the expenses allowable as a deduction in computing taxable income. ...

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