Search - convention

Filter by Type:

Results 1421 - 1430 of 8184 for convention
Technical Interpretation - External summary

5 April 2001 External T.I. 2000-0043615 - Taxation of Shareholder of US S-Corp -- summary under Subsection 126(1)

Income Tax Convention, the Canadian-resident shareholder of an S-Corp will not obtain a Canadian foreign tax credit for the U.S. tax paid by him in respect of the income of the S-Corp unless he had income from other sources of the United States that was subject to Canadian income tax. ...
TCC (summary)

Knights of Columbus v. The Queen, 2008 DTC 3648, 2008 TCC 307 -- summary under Article 5

The Queen, 2008 DTC 3648, 2008 TCC 307-- summary under Article 5 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 5 The taxpayer, a U.S. ...
TCC (summary)

Szymczyk v. The Queen, 2014 TCC 380 (Informal Procedure) -- summary under Estoppel

Moore, 2005 SCC 38, that "estoppel by convention operates where the parties have agreed that certain facts are deemed to be true and to form the basis of the transaction," and stating (at para. 37) "that estoppel will not apply if an approval given by a tax authority is contrary to law," Woods J rejected the taxpayer's argument that the Minister was estopped from assessing contrary to the 1982 authorization. ...
TCC (summary)

MIL (Investments) S A v. The Queen, 2006 DTC 3307, 2006 TCC 460, aff'd 2007 FCA 236 -- summary under Subsection 245(3)

This result positioned the taxpayer to clearly fit within an exemption from Canadian capital gains tax under Article XIII of the Canada-Luxembourg Income Tax Convention (the "Treaty") on a subsequent disposition of that block of shares once the taxpayer became resident in Luxembourg. ...
Decision summary

Graves v. The Queen, 90 DTC 6300 (FCTD) -- summary under Income-Producing Purpose

" Conventions of Amway distributors that the taxpayers attended in the United States for the purpose of developing their leadership abilities and for the purposes of developing motivation, enthusiasm and vision were found to have been incurred for an income-producing purpose. ...
Decision summary

Commissioner of Taxation v. Resource Capital Fund III LP, [2014] FCAFC 37 (Fed. Ct. of Austr.) -- summary under Article 13

.)-- summary under Article 13 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 13 mining information not to be valued separately at reproduction cost The appellant ("RCF") was a non-Australian partnership which was assessed on the basis that its gain from the sale of a "member ship interest" in an Australian company ("SBM") with two underground gold mines in Western Australia was from "taxable Australian real property". ...
Decision summary

Adobe Systems Inc. v. ADIT, W.P.(C) 2384/2013 (Delhi High Court) -- summary under Article 7

(C) 2384/2013 (Delhi High Court)-- summary under Article 7 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 7 no ability to tax US resident on fees of Indian sub which already were subject to tax in accordance with the arm's length pricing standard The taxpayer, which was a U.S. ...
FCTD (summary)

CGI Holding LLC v. Canada (National Revenue), 2016 FC 1086 -- summary under Article 4

Canada (National Revenue), 2016 FC 1086-- summary under Article 4 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 4 CRA reasonably considered that TD Securities did not apply where the dividend was not fully and comprehensively taxed in the U.S. ...
Decision summary

GE Energy Parts Inc. v. Commissioner of Income Tax (International Taxation), ITA 621/2017, 21 December 2018 (High Court of Delhi) -- summary under Article 4

Commissioner of Income Tax (International Taxation), ITA 621/2017, 21 December 2018 (High Court of Delhi)-- summary under Article 4 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 4 GE U.S. companies had a PE in India based on the intensive negotiation of their employees in India in contact negotiations The assesses were non-resident companies (“GE Overseas”) in the General Electric (GE) group who used the services of (i) expatriate employees of U.S. ...
FCTD (summary)

3412229 Canada Inc. v. Canada (Revenue Agency), 2020 FC 1156 -- summary under Paragraph 13(1)(a)

In the course of dismissing the application of the applicants, Bell J addressed the exemptions claimed for correspondence or documents obtained by the Canadian competent authority under the Tax Information Exchange Agreement with Bermuda and the Income Tax Conventions with Ireland, the Netherlands and the U.S. ...

Pages