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Results 171 - 180 of 1551 for convention
Miscellaneous severed letter
10 February 1984 Income Tax Severed Letter A-9477 - [Article XVII of the Canada-UK Tax Convention]
10 February 1984 Income Tax Severed Letter A-9477- [Article XVII of the Canada-UK Tax Convention] XXXX February 10, 1984 Director Non-Corporate Rulings Division Revenue Canada Taxation 875 Heron Road Ottawa, Ontario K1A 0L8 Attention: Ms. ... Tax Convention to payments under a single premium deferred annuity contract and benefits paid under the Old Age Security Pension Act and the Canada Pension Act to a resident of the United Kingdom. ... Tax Convention is calculated with reference to the income element of an annuity payment only and not to the total amount of the payment. ...
Miscellaneous severed letter
31 August 1989 Income Tax Severed Letter AC57778 - Canada–Israel Income Tax Convention
31 August 1989 Income Tax Severed Letter AC57778- Canada–Israel Income Tax Convention D.Y. Dalphy (613) 957-2117 19(1) Dear Sirs: Re: Disposition of Shares By a Non-resident Article XIII of the Canada-Israel Income Tax Convention. This is in reply to your letter of March 20, 1989 wherein you requested our interpretation of Article XIII of the Canada-Israel Income Tax Convention, 1976 (the "Treaty"). ...
Miscellaneous severed letter
18 June 1990 Income Tax Severed Letter AC58966 - Canada-Australia Income Tax Convention
18 June 1990 Income Tax Severed Letter AC58966- Canada-Australia Income Tax Convention Unedited CRA Tags Canada-Australia Income Tax Convention Articles 13 and 21 24(1) 5-8966 G. Arsenault (613) 957-2126 Attention: 19(1) June 18, 1990 Dear Sirs: This is in reply to your letter of October 2, 1989 wherein you requested our opinion on the interpretation of Article 21 of the Canada-Australia Income Tax Convention (1980) (the "Treaty") in the following hypothetical situation: (a) Canco, a Canadian private company carries on business in Canada; (b) Aco, an Australian company, holds 100% of shares of Canco; (c) Aco, which does not carry on business in Canada, disposes of the shares in Canco to USCo, a U.S. company, and capital gain is generated from the disposition; (d) The contract of sale is initiated, negotiated and concluded outside of Canada. ...
Miscellaneous severed letter
30 January 1990 Income Tax Severed Letter ACC89776 - Canada-Netherlands Income Tax Convention
30 January 1990 Income Tax Severed Letter ACC89776- Canada-Netherlands Income Tax Convention January 30, 1990 Ms. ... Wilson Assistance Division 957-2063 Attention: Monica Jones-Kisil HBW 4125-N1 Canada-Netherlands Income Tax Convention We are writing in reply to your memorandum dated October 27, 1989, concerning the taxability of pensions received from the Netherlands. ... Accordingly, paragraph 5(b) of Article 18 of the Canada-Netherlands Income Tax Convention does not apply and the pension may be taxed in Canada. ...
Miscellaneous severed letter
14 September 1989 Income Tax Severed Letter ACC8554 - Tax Convention
14 September 1989 Income Tax Severed Letter ACC8554- Tax Convention E.E. Campbell 19(1) 613-957-2067 September 14, 1989 19(1) Thank you for your letter of August 11, 1989, indicating your views on the application of Article 23(2)(d)(i) of the Convention to the situation set out in our letter of July 11, 1989. ...
Miscellaneous severed letter
28 September 1989 Income Tax Severed Letter AC41251 F - Immovable Property under Canada's Model Bilateral Income Tax Convention
28 September 1989 Income Tax Severed Letter AC41251 F- Immovable Property under Canada's Model Bilateral Income Tax Convention Unedited CRA Tags n/a Mr. ... Sasseville: We would appreciate receiving your department's views on the definition of "immovable property" for the purposes of Article XIII of Canada's Model Bilateral Income Tax Convention. ...
Miscellaneous severed letter
3 November 1989 Income Tax Severed Letter ACC8454 - Canada-Australia Income Tax Convention
3 November 1989 Income Tax Severed Letter ACC8454- Canada-Australia Income Tax Convention 19(1) E.E.Campbell (613) 957-2067 November 3, 1989 Dear 19(1) Re: 24(1) We have had correspondence on the above matter, the most recent being the disclosure of information to 24(1) We are attaching recent correspondence to our Toronto District Office from 24(1) along with a copy of a letter from the solicitors in. ... This information is provided pursuant to Article 25 of The Canada-Australia Income Tax Convention. ...
Miscellaneous severed letter
22 November 1989 Income Tax Severed Letter ACC8468 F - Convention fiscale avec la France
22 November 1989 Income Tax Severed Letter ACC8468 F- Convention fiscale avec la France E.E. ... La présente demande est faite en vertu de l'article 26 de la convention fiscale franco-canadienne. ...
Miscellaneous severed letter
18 January 1990 Income Tax Severed Letter AC74445 - Part I.1 Surtax for 1985 - Application of Canada-Germany Income Tax Convention
18 January 1990 Income Tax Severed Letter AC74445- Part I.1 Surtax for 1985- Application of Canada-Germany Income Tax Convention Scarborough District Office Specialty Rulings Directorate J.E. ... Baronette Director 19(1) Part I.1 surtax for 1985 Application of Article 23 of the Canada-Germany Income Tax Convention Further to our memorandum to the Toronto District Office dated September 11, 1989 (forwarded to your office on October 2, 1989) and to the memorandum dated October 20, 1989 from Mr. ...
Miscellaneous severed letter
31 January 1990 Income Tax Severed Letter ACC89826 - Canada-United Kingdom Income Tax Convention
31 January 1990 Income Tax Severed Letter ACC89826- Canada-United Kingdom Income Tax Convention E.E. Campbell (613) 957-2067 January 31, 1990 Dear 19(1) Re: Canada-United Kingdom Income Tax Convention Articles 26 and 27, Section 116 of the Income Tax Act On February 22, 1989, we wrote to you concerning a problem involving residency and domicile. ...