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Decision summary

Adobe Systems Inc. v. ADIT, W.P.(C) 2384/2013 (Delhi High Court) -- summary under Article 7

(C) 2384/2013 (Delhi High Court)-- summary under Article 7 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 7 no ability to tax US resident on fees of Indian sub which already were subject to tax in accordance with the arm's length pricing standard The taxpayer, which was a U.S. ...
FCTD (summary)

CGI Holding LLC v. Canada (National Revenue), 2016 FC 1086 -- summary under Article 4

Canada (National Revenue), 2016 FC 1086-- summary under Article 4 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 4 CRA reasonably considered that TD Securities did not apply where the dividend was not fully and comprehensively taxed in the U.S. ...
Decision summary

GE Energy Parts Inc. v. Commissioner of Income Tax (International Taxation), ITA 621/2017, 21 December 2018 (High Court of Delhi) -- summary under Article 4

Commissioner of Income Tax (International Taxation), ITA 621/2017, 21 December 2018 (High Court of Delhi)-- summary under Article 4 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 4 GE U.S. companies had a PE in India based on the intensive negotiation of their employees in India in contact negotiations The assesses were non-resident companies (“GE Overseas”) in the General Electric (GE) group who used the services of (i) expatriate employees of U.S. ...
FCTD (summary)

3412229 Canada Inc. v. Canada (Revenue Agency), 2020 FC 1156 -- summary under Paragraph 13(1)(a)

In the course of dismissing the application of the applicants, Bell J addressed the exemptions claimed for correspondence or documents obtained by the Canadian competent authority under the Tax Information Exchange Agreement with Bermuda and the Income Tax Conventions with Ireland, the Netherlands and the U.S. ...
Decision summary

Methanex Trinidad (Titan) Unlimited v The Board of Inland Revenue (Trinidad and Tobago), [2025] UKPC 20 -- summary under Article 4

Methanex Trinidad (Titan) Unlimited v The Board of Inland Revenue (Trinidad and Tobago), [2025] UKPC 20-- summary under Article 4 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 4 a Barbados IBC was a resident of Barbados for general treaty purposes Methanex Trinidad paid U.S.$85.4 million in dividends to its Barbados parent (Methanex Barbados), which promptly paid dividends to its Cayman parent which, in turn, promptly paid dividends to the ultimate Canadian parent (Methanex Canada). ...
TCC (summary)

Triskelion Projects International Inc. v. The Queen, 2022 TCC 63 -- summary under Article 5

The Queen, 2022 TCC 63-- summary under Article 5 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 5 argument, that days cannot be counted twice under the 183-day test for a services PE under the Canada-US Treaty, left open The taxpayer was a corporation resident in the US with a calendar year taxation year which provided consulting services for a construction project in Canada from March 2015 to March 2016, providing 198 days of consulting services in Canada in 2015 and 54 days in 2016 in respect of the project. ...
TCC (summary)

Husky Energy Inc. v. The King, 2023 TCC 167, aff'd sub nomine Hutchison Whampoa Luxembourg Holdings S.À R.L. 2025 FCA 176 -- summary under Article 10

The King, 2023 TCC 167, aff'd sub nomine Hutchison Whampoa Luxembourg Holdings S.À R.L. 2025 FCA 176-- summary under Article 10 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 10 recipient of dividends on borrowed shares was not their beneficial owner because of requirement to pay dividend compensation payments Before a Canadian public corporation (“Husky”) paid a dividend on its shares, two significant shareholders of Husky resident in Barbados (the “Barbcos”) transferred their shares under securities lending agreements to companies resident in Luxembourg with which they did not deal at arm’s length (the “Luxcos”). ...
FCA (summary)

Canada v. Hutchison Whampoa Luxembourg Holdings S.À R.L., 2025 FCA 176, aff'g sub nom. Husky Energy Inc. v. The King, 2023 TCC 167 -- summary under Article 10

The King, 2023 TCC 167-- summary under Article 10 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 10 a securities loan between residents of two Treaty countries did not change the beneficial ownership of the transferred shares Before a Canadian public corporation (“Husky”) paid a dividend on its shares, two significant shareholders of Husky resident in Barbados (the “Barbcos”) transferred their shares under agreements styled as securities lending agreements to related companies resident in Luxembourg (the “Luxcos”). ...
Technical Interpretation - External summary

25 March 1991 T.I. (Tax Window, No. 1, p. 9, ¶1166) -- summary under Article 5

(Tax Window, No. 1, p. 9, ¶1166)-- summary under Article 5 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 5 Because the taxpayer's activities in Canada must be considered in relation to its business activities elsewhere, a U.S. resident will not be precluded from being considered to have a permanent establishment in Canada by virtue only of the Canadian activities having no expectation of profit. ...

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