Search - convention
Results 4401 - 4410 of 5489 for convention
Current CRA website
Competent Authority Services
Tax Convention Application of the arbitration procedure under paragraphs 6 and 7 of Article XXVI (Mutual Agreement Procedure) Memorandum of Understanding Between The Competent Authorities of Canada and The United States of America Arbitration Board Operating Guidelines- Canada- United States Nondisclosure Statement of Taxpayer Nondisclosure Statement of Taxpayer's Authorized Representative Related topics OECD- Exchange of Information Tax treaties Transfer Pricing Page details Date modified: 2016-07-21 ...
Current CRA website
Lump-sum payment from a non-registered pension plan
The part of the payment that is deducted because it is exempt from tax under a tax convention or agreement is not eligible to be transferred. ...
Current CRA website
Common Reporting Standard Income Tax Act Part XIX v2.0
International Legal Framework Subparagraph 241(4)(e)(xii) of the Income Tax Act – The authority to share taxpayer information collected by the CRA with another jurisdiction under the provision contained in a tax treaty, a comprehensive tax information exchange agreement, or the Convention on Mutual Administrative Assistance in Tax Matters. Convention on Mutual Administrative Assistance in Tax Matters Common Reporting Standard Multilateral Competent Authority Agreement Canada’s tax conventions and tax agreements Competent Authority Agreement Summary of the project, initiative or change Overview of the Program or Activity The Common Reporting Standard is a legislative framework for the standardization of information maintained and reported by financial institutions, in relation to accounts held by non-resident individuals and entities. ... The provision of Part XIX information to foreign governments is permitted under subparagraph 241(4)(e)(xii) of the Income Tax Act, which allows for the exchange of taxpayer information between two competent authorities representing a tax treaty or the Convention on Mutual Administrative Assistance in Tax Matters. ...
Current CRA website
Other -- International and non-resident
Organizations- Under Article XXI of the Canada- United States Tax Convention T4036 Rental Income T4037 Capital Gains T4055 Newcomers to Canada T4058 Non-Residents and Income Tax T4061 Non-Resident Withholding Tax Guide T4144 Income Tax Guide for Electing Under Section 216 T4145 Electing Under Section 217 of the Income Tax Act T4155 Old Age Security Return of Income Guide for Non-Residents Forms 5013-D1 Federal Worksheet for Non-Residents- T1 General 5013-R T1 General- Income Tax Benefit Return for Non-Residents and Deemed Residents of Canada 5013-SA Schedule A- Statement of World Income for Non-Residents and Deemed Residents of Canada- T1 General 5013-SB Schedule B- Allowable Amount of Non-Refundable Tax Credits for Non-Resident and Deemed Residents of Canada- T1 General 5013-SC Schedule C- Electing Under Section 217 of the Income Tax Act for Non-Resident and Deemed Residents of Canada- T1 General CTB9 Canada Child Tax Benefit Statement NR4 Statement of Amounts Paid or Credited to Non-Residents of Canada NR4SUM Return of Amounts Paid or Credited to Non-Residents of Canada NR4(OAS) Statement of Old Age Security Pension Paid or Credited to Non-Residents of Canada NR5 Application by a Non-Resident of Canada for a Reduction in the Amount of Non-Resident Tax Required to be Withheld NR6 Undertaking to File an Income Tax Return by a Non-Resident Receiving Rent from Real Property or Receiving a Timber Royalty NR601 Non-Resident Ownership Certificate (Withholding Tax) NR602 Non-Resident Ownership Certificate (No Withholding Tax) NR603 Remittance of Non-Resident Tax on Income from Film or Video Acting Services NR7-R Application for Refund of Non-Resident Part XIII Tax Withheld NR73 Determination of Residency Status (Leaving Canada) NR74 Determination of Residency Status (Entering Canada) NRTA1 Authorization for Non-Resident Tax Exemption R105 Regulation 105 Waiver Application RC1 Request for a Business Number (BN) RC151 GST/HST Credit Application for Individuals Who Become Residents of Canada RC59 Business Consent Form RC66 Canada Child Benefits Application T106 Information Return of Non-Arm's Length Transactions with Non-Residents T1131 Claiming a Canadian Film or Video Production Tax Credit T1134 Information Return Relating To Controlled and Not-Controlled Foreign Affiliates T1135 Foreign Income Verification Statement T1136 Old Age Security Return of Income T1141 Information Return in Respect of Transfers or Loans to a Non-Resident Trust T1142 Information Return in Respect of Distributions from and Indebtedness to a Non-Resident Trust T1159 Income Tax Return for Electing Under Section 216 T1161 List of Properties by an Emigrant of Canada T1177 Claiming a Film or Video Production Services Tax Credit T1243 Deemed Disposition of Property by an Emigrant of Canada T1244 Election, Under Subsection 220(4.5) of The Income Tax Act, to Defer the Payment of Tax on Income Relating to the Deemed Disposition of Property T1248 Schedule B, Allowable Amount of Non-Refundable Tax Credits; and Schedule D, Information About Your Residency Status T1261 Application for a Canada Revenue Agency Individual Tax Number (ITN) for Non-Residents T1262 Part XIII.2 Tax Return for Non-Resident's Investments in Canadian Mutual Funds T1287 Application by a Non-Resident of Canada (Individual) for a Reduction in the Amount of Non-Resident Tax Required to be Withheld on Income Earned From Acting in a Film or Video Production T1288 Application by a Non-Resident of Canada (Corporation) for a Reduction in the Amount of Non-Resident Tax Required to be Withheld on Income Earned From Acting in a Film or Video Production T2 Corporation Income Tax Return T2SCH19 Non-Resident Shareholder Information T2SCH20 Part XIV- Additional Tax on Non-Resident Corporations T2SCH91 Information Concerning Claims for Treaty Based Exemptions T2SCH97 Additional Information On Non-Resident Corporations In Canada T2016 Part XIII Tax Return- Tax on Income from Canada of Approved Non-Resident Insurers T2023 Election in Respect of Loans from Non-Residents T2047 Agreement in Respect of Unpaid Amounts T2061A Election by an Emigrant to Report Deemed Dispositions of Taxable Canadian Property and Capital Gains and/or Losses Thereon T2062 Request by a Non-Resident of Canada for a Certificate of Compliance Related to the Disposition of Taxable Canadian Property T2062A Request by a Non-resident of Canada for a Certificate of Compliance Related to the Disposition of Canadian Resource or Timber Resource Property, Canadian Real Property (Other Than Capital Property), or Depreciable Taxable Canadian Property T2062ASCH1 Disposition of Canadian Resource Property by Non-Residents T2062B Notice of Disposition of a Life Insurance Policy in Canada by a Non-Resident of Canada T2062BSCH1 Certification and Remittance Notice T2062C Notification of an acquisition of treaty-protected property from a non-resident vendor T2091 (IND) Designation of a Property as a Principal Residence by an Individual (Other than a Personal Trust) T2091(IND)-WS Principal Residence Worksheet T2203 Provincial and Territorial Taxes- Multiple Jurisdictions T3RET T3 Trust Income Tax and Information Return T4A-NR Statement of Fees, Commissions, or Other Amounts Paid to Non-Residents for Services Rendered in Canada T4ANRSUM Summary of Fees, Commissions, or Other Amounts Paid to Non-Residents for Services Rendered in Canada T626 Overseas Employment Tax Credit (for 2002 and subsequent years) T776 Statement of Real Estate Rentals TL11D Tuition Fees Certificate- Educational Institution Outside Canada for a Deemed Resident of Canada TX19 Asking for a Clearance Certificate Other publications IC71-17R5 Guidance on Competent Authority Assistance Under Canada's Tax Conventions IC72-17R6 Procedures Concerning the Disposition of Taxable Canadian Property by Non-Residents of Canada- Section 116 IC75-6R2 Required Withholding From Amounts Paid to Non Residents Providing Services in Canada IC76-12R6 Applicable rate of part XIII tax on amounts paid or credited to persons in countries with which Canada has a tax convention IC77-16R4 Non-Resident Income Tax IC77-9R Books, Records and Other Requirements for Taxpayers Having Foreign Affiliates IC82-6 Clearance Certificate IC94-4R International Transfer Pricing: Advance Pricing Arrangements (APAs) IC94-4RSR Special Release- Advance Pricing Arrangements for Small Businesses IT76R2 Exempt portion of pension when employee has been a non-resident IT109R2 Unpaid Amounts IT137R3 Additional tax on certain corporations carrying on business in Canada IT137R3SR Additional Tax on Certain Corporations Carrying on Business in Canada IT155R3 Exemption from non-resident tax on interest payable on certain bonds, debentures, notes, hypothecs or similar IT155R3SR Exemption from non-resident tax on interest payable on certain bonds, debentures, notes, hypothecs or similar obligations IT221R3-CONSOLID Determination of an Individual's Residence Status IT270R3 Foreign tax credit IT303 Know-how and similar payments to non-residents IT303SR Know-how and similar payments to non-residents IT360R2 Interest payable in a foreign currency IT361R3 Exemption From Part XIII Tax on Interest Payments to Non-Residents IT393R2 Election Re: Tax on Rents and Timber Royalties Non-Residents IT420R3SR Non-Residents- Income Earned in Canada IT434R Rental of real property by individual IT447 Residence of a Trust or Estate IT451R Deemed disposition and acquisition on ceasing to be or becoming resident in Canada IT465R Non-Resident Beneficiaries of Trusts IT468R Management or administration fees paid to non-residents IT489R Non-Arm's Length Sale of Shares to a Corporation IT494 Hire of ships and aircraft from non-residents IT497R4 Overseas Employment Tax Credit Report a problem or mistake on this page Thank you for your help! ...
GST/HST Interpretation
24 February 1994 GST/HST Interpretation 11925-1 - Application of the GST to Federal Political Parties, to Candidates and to Candidate Campaign Committees
Registration and Input Tax Credits A political party that is a single person may register for the GST if it conducts its activities on a regular and continuous basis and if it makes supplies in the course of these activities such as admissions to conventions and fund-raising events and supplies of non-exempt memberships. National associations, local constituency associations and other divisions of federal political parties that are separate persons under the GST must review their activities separately to determine if they are engaged in regular and continuous activities, and if they make supplies in the course of these activities such as admissions to conventions, fund-raising events and supplies of non-exempt memberships. ... As registrants, a political party, or branch or division of that party, may claim input tax credits in respect of purchases acquired for the purpose of making taxable admissions to fund-raising events or to conventions. ...
GST/HST Interpretation
9 June 1998 GST/HST Interpretation HQR0000793 - Fourniture par acte constitutif d'emphytéose
Votre analyse est qu'il y a un transfert de possession d'un immeuble en vertu d'une convention prévoyant le transfert de la propriété du Centre, et que cette convention serait constituée de l'acte constitutif d'emphytéose consenti par la Commission scolaire à la Ville ainsi que du bail consenti par la Ville à la Commission scolaire. ... En conséquence, il n'y a pas de vente car il n'y pas de convention prévoyant le transfert de la propriété du Centre de formation. ...
Ruling
2008 Ruling 2007-0240271R3 - Purchase and bump
The mandated lead arrangers are XXXXXXXXXX; "permanent establishment" in respect of Parent, has the meaning assigned for the purposes of the Convention Between Canada and XXXXXXXXXX for the Avoidance of Double Taxation and the Prevention of Fiscal Evasion with Respect to Taxes on Income and on Capital and in respect of Acquisico 2, has the meaning assigned for the purposes of the Convention Between Canada and the XXXXXXXXXX with Respect to Taxes on Income and on Capital; "Person" means any natural person, trust, partnership, company (including companies with limited or unlimited liability) or body corporate; "Plan of Arrangement" means the plan of arrangement of the Arrangement; "Private Corporation" has the meaning assigned by subsection 89(1); "Proposed Transactions" means the transactions described in the proposed transactions section in this letter; "Proxy Statement" means the material, including Management Information Circular of Target, filed with the Securities and Exchange Commission in the United States and Canadian securities regulators, including the Notice of Special Meeting and all schedules, appendices and exhibits and all documents incorporated by reference; "Public Corporation" has the meaning assigned by subsection 89(1); "Purchase Price" means $XXXXXXXXXX per Target Share; "Related" has the meaning assigned by section 251; "Rights" means rights issued under the Rights Plan; "Rights Plan" means the Shareholder Rights Agreement entered into by Target and XXXXXXXXXX under which, by virtue of a right attached to each Target Share that did not trade separately from the Target Share, a shareholder was entitled to acquire Target Shares at a significant discount to the market price if a person acquired (or announced an intention to acquire) more than XXXXXXXXXX % of the shares of the company, without the support and approval of the Board of Directors; "Second Amalgamation" means the amalgamation of Acquisico 1 and Amalco 1 to form Amalco 2; "Specified Shareholder" has the meaning assigned by subsection 248(1), when read in conjunction with subparagraph 88(1)(c.2)(iii); "Stock Purchase Agreement" means the stock purchase agreement entered into by Parent and XXXXXXXXXX and announced by Parent on XXXXXXXXXX. ...
Ruling
2007 Ruling 2007-0226931R3 - Corporate Reorganization - Affiliated Group
NRco C is a non-resident of Canada for the purposes of the Act and a resident of XXXXXXXXXX for the purposes of the Canada-XXXXXXXXXX Income Tax Convention. ... NRco D is a non-resident of Canada for the purposes of the Act and a resident of XXXXXXXXXX for the purposes of the Canada-XXXXXXXXXX Income Tax Convention (the "XXXXXXXXXX Treaty"). ...
Ruling
30 November 1996 Ruling 9725393 F - PAPILLON
A cet égard, le compte d'IMRTD, les RTD, et les dividendes d'OPCO au cours des dernières années se résument comme suit: Année d'imposition terminée le XXXXXXXXXX Dividendes payés XXXXXXXXXX IMRTD au début de l'année XXXXXXXXXX RTD de l'année précédente XXXXXXXXXX FRIPI(1) générée dans l'année XXXXXXXXXX IMRTD à la fin de l'année XXXXXXXXXX RTD de l'année XXXXXXXXXX (1) FRIPI signifie fraction remboursable de l'impôt de la Partie I de la Loi. 12.Une convention conclue le XXXXXXXXXX par GESCO A, GESCO B, GESCO C et GESCO D, prévoit que ces parties sont assujetties aux dispositions d'une convention entre actionnaires conclue le XXXXXXXXXX par XXXXXXXXXX et GESCO A. ...
Ruling
2001 Ruling 2001-0080983 - INCORP. A PARTNERSHIP
At equalization time of the Partnership (XXXXXXXXXX) the allocation of the fixed overhead costs are waived for these individuals; (k) Individuals who are Senior Partners may take XXXXXXXXXX leave each year to attend conventions or for undertaking postgraduate work; (l) Each Senior Partner that is an individual and that has less than XXXXXXXXXX with the Partnership is entitled to XXXXXXXXXX of paid vacation each year. ... During this leave they do not receive their drawings; (h) Junior Partners may take XXXXXXXXXX leave each year to attend conventions or for undertaking postgraduate work; and (i) Each Junior Partner is entitled to XXXXXXXXXX of paid vacation during each year as a Junior Partner. 5. ...