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Miscellaneous severed letter
6 November 1992 Income Tax Severed Letter 9233205 - Article XIII, 7(b) of U.K. Convention
Convention Unedited CRA Tags Canada–U.K. Income Tax Convention Art. 13 923320 24(1) G. ... Income Tax Convention This letter is in reply to your fax dated November 5, 1992 in which you requested our views with respect to paragraph 7(b) of Article XIII of the Canada-U.K. ... Convention. 4. Office buildings (if not rental property or inventory) and the land under and/or adjacent thereto and necessary for the use thereof are Excluded Property. 5. ...
Miscellaneous severed letter
1 June 1990 Income Tax Severed Letter AC59194 - Canada-U.S. Income Tax Convention on Taxation of Estates
Income Tax Convention on Taxation of Estates 19(1) 5-9194 G. Arsenault (613) 957-2126 Dear Sir: Re: Article XXV of the Canada-U.S. Income Tax Convention, 1980 U.S. Estate Taxes This is in reply to your letter dated December 4, 1989. ... The US competent authority pursuant to Article XXVI of the Canada-United States Income Tax Convention, 1980 is: Mr. ...
Miscellaneous severed letter
26 January 1990 Income Tax Severed Letter AC591895 - Corporation's Permanent Establishment under Canada-U.S. Income Tax Convention
Income Tax Convention (1980) (the "Convention") limits Canada's tight to tax a U.S. company to those situations where the company carries on business in Canada through a permanent establishment. Article V of the Convention defines a "permanent establishment" as a fixed place of business in Canada through which the business of a resident of the United States is wholly or partly carried on. ... We are enclosing a copy of the Convention and a T2 Corporation Income tax Guide for your perusal. ...
Ruling
14 December 1990 Ruling HBW4125N1A F - Canada-Netherlands Income Tax Convention
14 December 1990 Ruling HBW4125N1A F- Canada-Netherlands Income Tax Convention Unedited CRA Tags n/a 19(1) HBW 4125-N1 David R. ... In our view, the wording of paragraph 3 of Article 4 of the Canada-Netherlands Income Tax Convention has the same effect. ... Where agreement cannot be reached, the corporation will not be a resident of either State for most purposes of the Convention. ...
Miscellaneous severed letter
22 January 1990 Income Tax Severed Letter AC591905 - Canada-U.S. Income Tax Convention - Retirement Compensation Arrangement
Income Tax Convention- Retirement Compensation Arrangement 19(1) 5-9190 D.S. ... Income Tax Convention (the "U.S. Convention") Retirement Compensation Arrangement ("RCA") This is in reply to your letter of November 30, 1989 requesting our views on the interpretation to be given to the terms "retirement plan" and "periodic pension payment" contained in Article XVIII of the U.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%. ...
Miscellaneous severed letter
7 August 1990 Income Tax Severed Letter - Interpretation of ambiguities arising from the interaction of the provisions relating to the residence of an individual under the Income Tax Act and the Canada-U.S. Income Tax Convention
Income Tax Convention Unedited CRA Tags 54(g), 250, 85, 116, 40(2)(b), Canada–U.S. ... Income Tax Convention (1980) (the Convention). You describe the facts as follows: 1. ... For purposes of the Convention, specifically paragraph 2 of Article IV thereof, Mr. ...
Miscellaneous severed letter
7 November 1990 Income Tax Severed Letter - Canada-U.K. Income Tax Convention
Income Tax Convention Unedited CRA Tags Canada–U.K. Income Tax Convention Art. 5 Dear Sirs: Re: Canada-United Kingdom Income Tax Convention (the "Convention") This is in reply to your letter dated September 14, 1990 whereby 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". ...
Miscellaneous severed letter
7 October 1991 Income Tax Severed Letter - Meaning of \"International Traffic\" in Canada - Netherlands Income Tax Convention
7 October 1991 Income Tax Severed Letter- Meaning of \"International Traffic\" in Canada- Netherlands Income Tax Convention Unedited CRA Tags Canada- Netherlands Income Tax Convention Subject: Meaning of "International Traffic" in Canada- Netherlands Income Tax Convention, 1986 The term "international traffic" is defined by paragraph 1(g) of Article 3 and Paragraph II of the Protocol to the Convention. ... " In connection with the interpretation/definition of the term "international traffic" in the Canada-Netherlands Convention reference must also be made to Paragraph II of the Protocol. ... " Thus the definition of the term "international traffic" in the Canada-Netherlands Convention is in effect virtually the same as the definition in the Canada-United States Income Tax Convention, 1980. ...
Miscellaneous severed letter
21 September 1990 Income Tax Severed Letter AC59792 - Canada-U.K. Income Tax Convention on Employment Income
Income Tax Convention on Employment Income 24(1) 5-9792 M.P. Sarazin (613) 957-2125 Dear Sirs: Re: Clause 115(2)(e)(i)(B) of the Income Tax Act (Canada) (the "Act") and the Canada-U.K. Tax Convention (the "Convention") This is in reply to your letter dated March 6, 1990 in which you requested our advice regarding the reporting requirements in the following situation. ... Facts 24(1) Your client has based his calculation of withholding tax upon the interaction of clause 115(2)(e)(i)(B) of the Act and paragraph of Article 15 of the Convention. ...
Ruling
1999 Ruling 9917753 - RESIDENCE OF TRUST UNDER CONVENTION
Position: The trust was a resident of the United States for the purposes of the Convention. ... Income Tax Convention (1980) (the "Convention"). 6. Canco, Opco and Otherco are corporations incorporated and resident in Canada. 7. ... It is unlikely in such case that the Convention would exempt such gain. ...