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Technical Interpretation - External summary
21 October 2013 External T.I. 2013-0477121E5 - FTC and US Expat Regime -- summary under Article 29
21 October 2013 External T.I. 2013-0477121E5- FTC and US Expat Regime-- summary under Article 29 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 29 FTC for 30% US pension withholding A taxpayer who has renounced his US citizenship elects under Code s. 877A to irrevocably waive any right to claim any reduction in withholding on future pension payments under any US treaty and pay a flat 30% US tax on the taxable portion of all future pension payments. ...
Technical Interpretation - External summary
21 April 2015 External T.I. 2013-0494251E5 - 128.1(4) and Part XIII tax on future payments -- summary under Subparagraph 212(1)(d)(v)
XII, para. 4 of the Canada-US Tax Convention would be exempt from Part XIII tax as being for the use of information concerning industrial or commercial experience. ...
Technical Interpretation - External summary
7 September 2016 External T.I. 2014-0559751E5 - Subsection 115(3) -- summary under Article 15
7 September 2016 External T.I. 2014-0559751E5- Subsection 115(3)-- summary under Article 15 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 15 comparison of Treaty and domestic method for pilot income on annual basis S. 115(3) allocates 100%, 50% or 0% of the employment income of a non-resident pilot from a flight to Canada based on whether both, one out of two, or none of the touchpoints were in Canada. ...
Technical Interpretation - External summary
17 February 2017 External T.I. 2015-0602781E5 - Disposition of farm property by a non-resident -- summary under Article 13
17 February 2017 External T.I. 2015-0602781E5- Disposition of farm property by a non-resident-- summary under Article 13 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 13 shares of Cdn farm are excluded from immovable property under Canada-Germany Treaty A resident of Germany will gift her shares, each qualifying as a “share of the capital stock of a family farm or fishing corporation” under s. 70(10), to her Canadian-resident son who, along with his father, will be actively engaged, on a regular and continuous basis, in carrying on the corporation’s grain farming business in Canada. ...
Technical Interpretation - External summary
19 February 1997 External T.I. 9616305 - ROYALTY PAYMENTS FOR SHOWING VIDEOS IN PUBLIC -- summary under Article 12
19 February 1997 External T.I. 9616305- ROYALTY PAYMENTS FOR SHOWING VIDEOS IN PUBLIC-- summary under Article 12 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 12 In noting that royalties paid for a licence to make videos available to the patrons of a health club, who view videos on installed televisions sets while they exercise, will not be exempt from withholding tax, RC stated: "Royalties in respect of the production or reproduction of motion pictures or video tapes which are not for private (home) use, including but not limited to those used in connection with television broadcasting, are not exempt. ...
Technical Interpretation - External summary
12 March 1998 External T.I. 9805215 - Barbados trust deemed resident of Canada -- summary under Article 4
12 March 1998 External T.I. 9805215- Barbados trust deemed resident of Canada-- summary under Article 4 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 4 Before concluding that Canada had the right to tax a trust that was resident in Barbados and which was deemed to be resident in Canada under s. 94(1)(c), Revenue Canada stated: "... ...
Technical Interpretation - External summary
27 July 1994 External T.I. 9409325 - PERMANENT ESTABLISHMENT -- summary under Article 5
27 July 1994 External T.I. 9409325- PERMANENT ESTABLISHMENT-- summary under Article 5 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 5 "In a situation where a corporation has wholly-owned subsidiaries in Canada and the United States... with 'specialized employees' employed by the Canadian subsidiary which are required to visit work sites in the U.S. to review projects, gather data, and carry out certain tests and then return to their office in Canada to interpret lab reports, design solutions to problems, conduct discussions with regulatory and environmental agencies of the U.S. and finally prepare engineering reports, we believe that such employees may be carrying on the business of the U.S. subsidiary in Canada at a fixed place of business, that being the offices of the Canadian subsidiary and therefore the U.S. subsidiary may have a permanent establishment in Canada. ...
Technical Interpretation - External summary
17 January 1996 External T.I. 9520065 - BORROWINGS EFFECTIVELY CONNECTED TO A PE -- summary under Article 7
17 January 1996 External T.I. 9520065- BORROWINGS EFFECTIVELY CONNECTED TO A PE-- summary under Article 7 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 7 Before indicating that borrowings by a U.S. ...
Technical Interpretation - External summary
3 October 2003 External T.I. 2003-0030585 F - PENSIONS ETRANGERES -- summary under Article 18
3 October 2003 External T.I. 2003-0030585 F- PENSIONS ETRANGERES-- summary under Article 18 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 18 degree of exemption for social security pension payments from Germany, Belgium or France CCRA discussed the degree of exemption of social security pension payments by a Canadian resident (who otherwise would be taxable thereon under s. 56(1)(a)(i)) from the following jurisdictions: Germany The German Bundesversicherungsanstalt plan is a social security plan for the purposes of the treaty. ...
Technical Interpretation - External summary
29 September 2003 External T.I. 2003-0013435 F - Pension Belge -- summary under Article 18
29 September 2003 External T.I. 2003-0013435 F- Pension Belge-- summary under Article 18 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 18 Belgian National Pensions Office was a Belgian government instrumentality for purposes of the former Art. 18(2) exemption Regarding whether a resident employee's retirement pension received from the Belgian National Pensions Office was exempted under Art. 18 of the 2002 version of the Canada-Belgium treaty, CCRA indicated that, based on its understanding that the National Pensions Office would be a Belgian government instrumentality, the pension (which otherwise would have been taxable) was exempted under Art. 18(2), so that, although the resident employee would be required to include the pension in income under s. 56(1)(a)(i), but would be entitled to a corresponding deduction in computing taxable income under s. 110(1)(f)(i). ...