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Miscellaneous severed letter

17 August 1989 Income Tax Severed Letter AC80290 - Canada-U.S. Income Tax Convention on Pension Payments

Tax Convention (the "Convention") and paragraph 254(a) of the Act. ... The particular provisions would be Article VIA of the Convention and paragraph 7 of the Convention Protocol. ... The old convention limited taxation of periodic pension payments, it did not limit the taxation of any other payments out of a "pension" plan nor did it expand upon the meaning of pensions to identify specific sources of the periodic payments as does the present Convention. ...
Miscellaneous severed letter

26 April 1990 Income Tax Severed Letter ACC9181 - Canada-Indonesia Income Tax Convention on Interest Payments

26 April 1990 Income Tax Severed Letter ACC9181- Canada-Indonesia Income Tax Convention on Interest Payments Jim Wilson 24(1) (613) 957-2063 HBW 9412-2-3 HBW 4125-I-3 April 26, 1990 Dear Sirs: We are writing in reply to your letter dated April 4, 1990 concerning tax exemption on interest payments made to the 24(1) 24(1) An agreement under paragraph 7(c) of Article XI of the Canada-Indonesia Income Tax Convention can only be finalized by an exchange of letters between the competent authorities of the two contracting states. Paragraph 1(f)(ii) of Article III of the Convention delegates the competent authority function to your Minister of Finance or his duly authorized representative. ... We suggest that you contact your Ministry of Finance and request that they initiate action to have the 24(1) recognized under Article XI of the Convention. ...
Miscellaneous severed letter

15 February 1990 Income Tax Severed Letter ACC8750 - Canada-Italy Income Tax Convention - Interest Income Exemption

15 February 1990 Income Tax Severed Letter ACC8750- Canada-Italy Income Tax Convention- Interest Income Exemption Unedited CRA Tags Canada-Italy Income Tax Convention Article XI EACC8750 Jim Wilson (613) 957-2063 19(1) HBW 6591-I-4 HBW 4125-I-7 February 15, 1990 Dear 19(1) Re: Special Section for 24(1) We are writing in follow-up to our telephone conversation on February 13, 1990, in which you requested confirmation as to the status of the above-noted institution under Article XI of the Canada- Italy Income Tax Convention. Paragraph 3(c) of the Convention states that "notwithstanding the provisions of paragraph 2, interest arising in one of the Contracting States shall not be taxable in that State if the interest is paid in respect of a loan made, guaranteed or insured, or a credit extended, guaranteed or insured by any institution specified and agreed in letters exchanged between competent authorities of the Contracting State". ...
Miscellaneous severed letter

9 April 1981 Income Tax Severed Letter 5-2431 F - [Article VIII of the Canada-U.S. Tax Convention]

Tax Convention] Unedited CRA Tags Canada–U.S. Tax Convention Canada-U.S. ... Tax Convention (the Convention) in circumstances involving a merger of two non-resident corporations. ...
Miscellaneous severed letter

15 February 1990 Income Tax Severed Letter ACC8743 - Canada-U.S.A. Income Tax Convention - Interest Income Exemption

Income Tax Convention- Interest Income Exemption Unedited CRA Tags Canada–U.S. ... Pursuant to Article XI, subparagraph 3(a) of the Canada-United States Income Tax Convention, interest income arising in Canada and paid to the corporation is exempt from tax in Canada. ... In the event of a change in status of the Corporation or an amendment or repeal to Article XI of the Convention (i.e. ...
Miscellaneous severed letter

7 March 1991 Income Tax Severed Letter - Canada-U.S. Income Tax Convention

Income Tax Convention Unedited CRA Tags 126(1), Canada–U.S. Tax Convention Canada-U.S. ... XXX Article XIX of the Canada-United States Income Tax Convention (1980) is not applicable in these circumstances because the remuneration paid by Canada is not paid to a citizen of Canada. Where the remuneration is derived by a resident of Canada, Article XV of the Convention states that the employment income shall be taxable in Canada. ...
Miscellaneous severed letter

24 April 1990 Income Tax Severed Letter ACC9182 - Canada-Japan Income Tax Convention on Employment Income

As a continuing resident of Canada, any employment income earned outside the JET Programme is subject to income tax in Canada pursuant to Article 15 of the Canada-Japan Income Tax Convention. ... Participants in the JET Programme are governed by Article 18 of the Convention and are exempt from tax in Canada based on the unique nature of the Programme. ... The initiative of and the employment by the Japanese government together with the additional responsibilities of the participants bring the participants into Article 18 of the Convention. ...
Miscellaneous severed letter

17 February 1987 Income Tax Severed Letter 5-2744 - [ Canada - U.K. Tax Convention - Article 17 and Section 217 Election under the Income Tax Act]

Tax Convention- Article 17 and Section 217 Election under the Income Tax Act] M.D. ... Tax Convention- Article 17 and Section 217 Election under the Income Tax Act This is in reply to your letter of January 16, 1987, in which you requested our comments on 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 (the "Act"). ... Income Tax Convention (the "Convention."), but "pensions" do not include lump sum payments out of an RRSP or pension plan. 2. ...
Miscellaneous severed letter

16 August 1988 Income Tax Severed Letter 5-6296 F - [Convention de retraite]

16 August 1988 Income Tax Severed Letter 5-6296 F- [Convention de retraite] Frank S. Gillman (613) 957-8953 Le 16 août 1988 Maître, Objet: Convention de retraite La présente est en réponse à votre lettre du 7 juillet 1988, demandant une clarification du dernier paragraphe de notre lettre du 1 mars 1988 (notre dossier no 5-4091). ... Ceci fera en sorte qu'un tel régime ne pourra devenir une convention de retraite au ler janvier 1988 à cause de l'exemption visée l'alinéa (k) de la définition de convention de retraite contenue au paragraphe 248(1) de la Loi. ...
Miscellaneous severed letter

7 August 1990 Income Tax Severed Letter - Application of subsection 258(3) of the Income Tax Act and Article 21(1)(b) of the Canada-United Kingdom Income Tax Convention in respect of dividends paid by a corporation resident in the United Kingdom to a Canadian resident specified financial institution

7 August 1990 Income Tax Severed Letter- Application of subsection 258(3) of the Income Tax Act and Article 21(1)(b) of the Canada-United Kingdom Income Tax Convention in respect of dividends paid by a corporation resident in the United Kingdom to a Canadian resident specified financial institution Unedited CRA Tags 258(3), 113, 258(3), 259(3), Canada–U.K. Income Tax Convention Art. 10, 21(1)(b), 27(4), Income Tax Conventions Interpretation Act 3 Dear Sirs: Re: Subsection 258(3) This is in reply to your letter dated January 26, 1990 whereby you requested that we provide our opinion as to the application of subsection 258(3) of the Income Tax Act (Canada) (the "Act") and Article 21(1)(b) of the Canada-United Kingdom Income Tax Convention (the "Treaty") in respect of dividends (the "TPS Dividends") paid by a corporation resident in the United Kingdom (the "Foreign Affiliate") to a Canadian resident specified financial institution (the "SFI") on term preferred shares of the Foreign Affiliate acquired by the SFI in the ordinary course of the business carried on by it, such term preferred shares constituting all of the shares of a class of preference shares in the capital stock of the Foreign Affiliate. ... By virtue of paragraph 3(2) of the Treaty and Section 3 of the Income Tax Conventions Interpretation Act, to the extent a term used in the Treaty is not defined therein, it has the meaning it has under the laws of [Canada] relating to the taxes which are the subject of the Treaty. ...

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