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Results 4861 - 4870 of 5497 for convention
Ruling

2005 Ruling 2004-0087861R3 F - Split-up buttefrly

Y et GESTCO ont conclu une convention unanime entre actionnaires relativement à la participation de M. ...
Ruling

2005 Ruling 2005-0126111R3 - Spin-off butterfly

With regard to the purchase by DC of Existing DC Shares held by a Dissenting Shareholder as described in Paragraph 21 and subject to the application of subsection 55(2): (a) the Dissenting Shareholder will be deemed by paragraph 84(3)(b) to have received a dividend equal to the amount by which any payment from DC to the Dissenting Shareholder in respect of the purchase of such person's shares exceeds the PUC of such shares immediately prior to their purchase; (b) subsections 212(2) and 215(1) will apply (subject to the provisions of any applicable income tax convention) to require DC to withhold and remit 25% of the amount of any such dividend deemed to have been paid to a Dissenting Shareholder who is a non-resident person; and (c) paragraph (j) of the definition of "proceeds of disposition" in section 54 will apply to exclude the amount of such deemed dividend from the proceeds of disposition of the Existing DC Shares recognized by the Dissenting Shareholder as a result of the purchase of such shares by DC provided that the shares were held as capital property by the Dissenting Shareholder. ...
Ruling

30 November 1995 Ruling 9617343 - REORGANIZATION, INTERLOCKING SHAREHOLDINGS

Subject to the application of §55(2) to Dissenting Shareholders that are corporations resident in Canada, §§84(3)(a) and (b) will apply to deem XXXXXXXXXX to have paid and any Dissenting Shareholder to have received, on a separate class of shares comprising the XXXXXXXXXX Common Shares of all Dissenting Shareholders, a dividend equal to the amount by which any payment from XXXXXXXXXX to the Dissenting Shareholder in respect of the repurchase of such person's shares exceeds the PUC of such shares immediately prior to their repurchase; §212(2) and §215(1) will apply (subject to the provisions of any applicable income tax convention) to require XXXXXXXXXX to withhold and remit 25% of the amount of any such dividend deemed to have been paid to a Dissenting Shareholder who is a non-resident person; and §(j) of the definition of "proceeds of disposition" in §54 will apply to exclude the amount of such deemed dividend from the proceeds of disposition of the XXXXXXXXXX Common Shares recognized by the Dissenting Shareholder as a result of repurchase of such shares by XXXXXXXXXX. ...
Ruling

5 February 1993 Ruling 9231281 F - Meaning of "Remuneration"

COMPENSATION 147.1(1) "compensation" of an individual from an employer for a calendar year means the aggregate of all amounts each of which is (a)     an amount in respect of (i)     the individual's employment with the employer, or (ii)     an office in respect of which the individual is remunerated by the employer that is required (or that would be required but for paragraph 81(1)(a) as it applies with respect to the Indian Act) by section 5 or 6 to be included in computing the individual's income for the year, except such portion of the amount as (iii)     may reasonably be considered to relate to a period throughout which the individual was not resident in Canada, and (iv)     is not attributable to the performance of the duties of the office or employment in Canada or is exempt from income tax in Canada by reason of a provision contained in a tax convention or agreement with another country that has the force of law in Canada, (b)     a prescribed amount, or (c)     an amount acceptable to the Minister in respect of remuneration received by the individual from any employer for a period in the year throughout which the individual was not resident in Canada, to the extent that the amount is not otherwise included in the aggregate; remuneration 5(1) Subject to this Part, a taxpayer's income for a taxation year from an office or employment is the salary, wages and other remuneration, including gratuities, received by him in the year. 6(3) Payments by employer to employee. ...
Ruling

2004 Ruling 2004-0082691R3 - Public Company spin-off

Common Shares held by a Dissenting Shareholder as described in paragraph 58: (a) subject to the application of subsection 55(2), the Dissenting Shareholder will be deemed by paragraph 84(3)(b) to have received a dividend equal to the amount by which any payment from X Co. to the Dissenting Shareholder in respect of the purchase of such person's shares exceeds the PUC of such shares immediately prior to their purchase; (b) subsections 212(2) and 215(1) will apply (subject to the provisions of any applicable income tax convention) to require X Co. to withhold and remit 25% of the amount of any such dividend deemed to have been paid to a Dissenting Shareholder who is a non-resident person; and (c) paragraph (j) of the definition of "proceeds of disposition" in section 54 will apply to exclude the amount of such deemed dividend from the proceeds of disposition of the X Co. ...
Ruling

2004 Ruling 2004-0068561R3 F - Butterfly Transaction - Papillon

Tout RTD auquel GESCO aurait droit en raison des opérations projetées décrites aux présentes ou d'autres opérations, sera attribué à PORTCOA, PORTCOB et NOUCO dans les proportions de XXXXXXXXXX%, XXXXXXXXXX% et XXXXXXXXXX% respectivement, et ce aux termes des conventions d'achat d'actions intervenues entre GESCO d'une part et PORTCOA et NOUCO d'autre part, de même qu'en vertu des termes de la liquidation relative à GESCO. ...
Ruling

2019 Ruling 2018-0788191R3 F - Butterfly Transaction

La convention d’échange précisera que cet échange d’actions est effectué en vertu du paragraphe 51(1). 76. ...
Old website (cra-arc.gc.ca)

Table of concordance : IT bulletin-folio

04-05-2015 IT-104R3 Deductibility of Fines or Penalties S4-F2-C1, Deductibility of Fines and Penalties 10-07-2015 IT-110R3 Gifts and Official Donation Receipts S7-F1-C1, Split-receipting and Deemed Fair Market Value 08-11-2016 IT-120R6 Principal Residence S1-F3-C2, Principal Residence 28-03-2013 IT-128R Capital Cost Allowance – Depreciable Property S3-F4-C1, General Discussion of Capital Cost Allowance 09-12-2016 IT-131R2 Convention Expenses Paragraphs 7 and 8 only have been cancelled S2-F3-C2, Benefits and Allowances Received from Employment 07-07-2016 IT-147R3 Capital Cost Allowance – Accelerated Write-off of Manufacturing and Processing Machinery and Equipment S4-F15-C1, Manufacturing and Processing 27-09-2016 IT-148R3 Recreational Properties and Club Dues Paragraph 12 only has been cancelled S2-F3-C2, Benefits and Allowances Received from Employment 07-07-2016 IT-169 Price Adjustment Clauses S4-F3-C1, Price Adjustment Clauses 28-03-2013 IT-178R3 Moving Expenses S1-F3-C4, Moving Expenses 05-04-2016 IT-185R (consol.) ...
Archived CRA website

ARCHIVED - ITNEWS-35 - Income Tax - Technical News No. 35

Accordingly, the determination of residency for the purposes of a tax treaty remains a question of fact, and each case will be decided on its own facts with an eye to the intention of the parties of the particular convention and the purpose of international tax treaties. ...
Archived CRA website

ARCHIVED - Taxation of Elected Officers of Incorporated Municipalities, School Boards, Municipal Commissions and Similar Bodies

The allowance referred to in item (b) is restricted to the nonaccountable payment an employer is authorized to make to an officer or member which is received by him because of his position and not for any specific duties he may perform, such as attending a convention or travelling on municipal business, for which he is usually reimbursed for part or all of his expenses. ...

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