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Technical Interpretation - Internal summary
7 July 2022 Internal T.I. 2021-0893791I7 - Interest expense on subordinated income instrument -- summary under Article 9
7 July 2022 Internal T.I. 2021-0893791I7- Interest expense on subordinated income instrument-- summary under Article 9 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 9 OECD principles re interest on related-party debt In the early 1980s, Holdco received a ruling as to the deductibility (subject to ITA s. 18(4)) of its interest expense on a 40-year U.S. $15 million debenture (“Debenture”) issued by it to Parent, which bore interest for each year of the lesser of 11% per annum and Holdco’s profits in that year. ...
Technical Interpretation - Internal summary
20 June 2023 Internal T.I. 2021-0904981I7 - Application of ss.227(6) to treaty benefits -- summary under Article 18
20 June 2023 Internal T.I. 2021-0904981I7- Application of ss.227(6) to treaty benefits-- summary under Article 18 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 18 ITA s. 227(6) time limitation applied where “as if resident” clause is silent on the timing of refund claim As an example of an “as if resident” (“AIR”) clause, the Directorate referred to Art. 18(2) of the Canada-Italy Treaty which relevantly indicated that the tax which Canada could impose on a periodic pension arising in Canada does not exceed the lesser of (a) 15% of the excess of the annual pension amount over Cdn.$12,000, and (b) the amount of Canadian tax the recipient would have been required to pay on the annual pension amount had the recipient been resident in Canada. ...
Technical Interpretation - External summary
12 December 2023 External T.I. 2021-0881541E5 - Pension benefit from Chile -- summary under Article 18
12 December 2023 External T.I. 2021-0881541E5- Pension benefit from Chile-- summary under Article 18 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 18 an exceptional COVID-related withdrawal from a Chilean pension plan qualified as an exempted pension under the Canada-Chile Treaty The Chilean government, in response to the pandemic, adopted an exceptional measure (the “Measure”) in 2020, permitting the withdrawal of up to 10% of the pension savings in the individual pension accounts managed by the Pensions Funds Administrators (“AFP”) in Chile. ...
Technical Interpretation - External summary
6 December 2023 External T.I. 2017-0735631E5 - Distribution of funds from an IRA and 401(k) -- summary under Article 18
6 December 2023 External T.I. 2017-0735631E5- Distribution of funds from an IRA and 401(k)-- summary under Article 18 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 18 a Canadian resident may access the Art. ...
Conference summary
15 May 2024 IFA Roundtable Q. 1, 2024-1007651C6 - Principal purpose test and the UK-Canada Tax Treaty -- summary under Article 7(1)
After indicating that the PPT had supplanted Art. 10(8), CRA noted: Example E in para. 182 of the 2017 OECD Commentary on Art. 29 of the Model Convention describes the similar situation of a shareholder who is slightly below the threshold for access to the lower dividend rate, and who acquires shares for the purpose of taking advantage of the reduced rate. ...
Conference summary
15 May 2024 IFA Roundtable Q. 1, 2024-1007651C6 - Principal purpose test and the UK-Canada Tax Treaty -- summary under Article 10
15 May 2024 IFA Roundtable Q. 1, 2024-1007651C6- Principal purpose test and the UK-Canada Tax Treaty-- summary under Article 10 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 10 marginally increasing a shareholding to access the Treaty-reduced rate likely would not engage the PPT A UK-resident corporation increased its voting shareholding of Canco the day before a dividend was paid so as to hold 10% of the shares. ...
Technical Interpretation - Internal summary
3 October 2000 Internal T.I. 2000-0039997 F - VENDEAU-CONFERENCE ET CONGRES -- summary under Subparagraph 8(1)(f)(v)
The Directorate indicated that the presentations and exhibitions at the convention were primarily intended to enable participants to acquire new skills, learn about new developments or simply meet people or make themselves known so that, consequently, the expenditures were capital expenditures as they provided a lasting benefit to the manager. ...
Decision summary
AB LLC and BD Holdings LLC v. Commrs. of South African Revenue Services, Case No. 13276, 15 May 2015, South Africa Tax Court -- summary under Article 5
Commrs. of South African Revenue Services, Case No. 13276, 15 May 2015, South Africa Tax Court-- summary under Article 5 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 5 services PE was not required to be a fixed place of business – and a client boardroom so qualified anyway/double counting of days for 183-day test permitted The taxpayer (a U.S. ...
TCC (summary)
Société générale valeurs mobilières inc. v. The Queen, 2016 TCC 131, aff'd 2017 FCA 3 -- summary under Article 24
The Queen, 2016 TCC 131, aff'd 2017 FCA 3-- summary under Article 24 Summary Under Tax Topics- Treaties- Income Tax Conventions- Article 24 Brazilian tax sparing provision did not permit the taxpayer to shelter Canadian-source income The Crown brought a motion under Rule 58(1) for determination of questions of law respecting the application of Art. ...
Decision summary
Chevron Australia Holdings Pty Ltd v Commissioner of Taxation, [2017] FCAFC 62 -- summary under Subsection 247(2)
Convention), so that assessments could be made for departures from the Art. 9 standard. ...