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Miscellaneous severed letter

25 June 1986 Income Tax Severed Letter 5-1696

Tax Convention Canada-U.S. Tax Treaty: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. ... Income Tax Convention (1980), rather than as being payments for services. ...
Miscellaneous severed letter

21 June 1983 Income Tax Severed Letter 9A-7917 F

Income Tax Convention, and Article 6(a) of the Protocol to the said Convention, effectively reserve unto Canada the right to tax such payments at the reduced rate of 15% of the gross amount thereof. 2. ...
Miscellaneous severed letter

20 October 1983 Income Tax Severed Letter 9B-4635 F

Tax Convention. Article VII (and not Article I) would be the applicable provision, since it deal-s explicitly with compensation for personal services. Consequently, the consulting fees are not exempted from Canadian tax by virtue of the Convention. ...
Miscellaneous severed letter

18 April 1984 Income Tax Severed Letter

Tax Convention ("the Treaty"). Since the situation which we pose herein is hypothetical, a formal ruling is not appropriate at this time. ... Tax Convention, the Treaty contains no specific reference to place of incorporation. ...
Miscellaneous severed letter

27 June 1984 Income Tax Severed Letter

Article XXI of the Canada-United Kingdom Income Tax Convention (Convention) states that "Subject to the existing provisions of the law of Canada... tax payable in the United Kingdom on profits, income or gains arising in the United Kingdom shall be deducted from any Canadian tax payable in respect of such profits, income or gains. ...
Miscellaneous severed letter

29 September 1987 Income Tax Severed Letter

Tax Convention it appeared doubtful that Part XI.3 Tax which was not specifically dealt with in this treaty could be applied to a U.S. entity not resident in Canada. ... Consequently, it appeared Article II may bring this tax within the scope of the Convention. ...
Miscellaneous severed letter

16 January 1987 Income Tax Severed Letter

Tax Convention- Article 17 and Section 217 Election under the Income Tax Act We are writing to request an interpretation of the treatment to be accorded pension income received by a U.K. resident from Canada where a section 217 election is made under the Income Tax Act. ... Tax Convention as revised by the 1985 protocol provides in Article 17 that the hypothetical taxpayer mentioned above will be taxed only in the U.K. on pension income received from Canada. ...
Miscellaneous severed letter

29 September 1987 Income Tax Severed Letter

Tax Convention it appeared doubtful that Part XI.3 Tax which was not specifically dealt with in this treaty could be applied to a U.S. entity not resident in Canada. ... Consequently, it appeared Article II may bring this tax within the scope of the Convention. ...
Miscellaneous severed letter

25 March 1977 Income Tax Severed Letter

Short was passed on to us for reply since the responsibility for carrying out the provisions of the Income Tax Conventions, once they have come into force, rests with this department. ... When a Canadian payor makes a payment to a person in Austria which qualifies for exemption under either Article XI or XII of our Income Tax Convention he need not withhold tax, even though he has received no other certification of exemption. ...
Miscellaneous severed letter

1 February 1985 Income Tax Severed Letter

Carol Muirhead, Chief Non-Resident, Business & Property Income Section Non-Corporate Rulings Division DEPARTMENT OF NATIONAL REVENUE, TAXATION 88 Metcalfe Street 5th Floor Ottawa, Ontario K1P 5L7 Re: Application of Canada- Belgium Income Tax Convention Dear Ms. Muirhead: We have written concerning the application of the Canada- Belgium Income Tax Convention of 1976, (hereinafter referred to as the "Treaty"), with respect to the possible disposition by a former Canadian resident of shares held by him prior to his departure from Canada. 1. ...

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