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Administrative Letter

18 June 1990 Administrative Letter 58966 F - Canada-Australia Income Tax Convention

18 June 1990 Administrative Letter 58966 F- Canada-Australia Income Tax Convention Unedited CRA Tags n/a 24(1) File No. 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

7 March 1991 Income Tax Severed Letter - Determination of Residency - Canada-U.K. Income Tax Convention

Income Tax Convention Unedited CRA Tags none Dear Sir: This is in regard to your request that we provide you with a determination of the residency of the late XXX We have reviewed the documents which you submitted and are of the view that XXX had established significant residential ties with Canada and would therefore be considered a factual resident of Canada for the calendar years XXX on June 24, 1985. ... Income Tax Convention (1978) would determine his residency for income tax treaty purposes. ...
Miscellaneous severed letter

22 October 1986 Income Tax Severed Letter 5-2278 - [Canada-Brazil Income Tax Convention (the "Treaty")]

22 October 1986 Income Tax Severed Letter 5-2278- [Canada-Brazil Income Tax Convention (the "Treaty")] M. Trotier (613) 957-8968 October 22, 1986 Dear Sir: Re: Canada-Brazil Income Tax Convention (the "Treaty") As you requested during the Canadian Bankers' Association meeting on October 1, 1986, this is to clarity our position concerning two tax sparing issues under Article 22 of the Treaty. ...
Technical Interpretation - External

20 December 1994 External T.I. 9421435 - ROYALTIES AND CANADA-UK INCOME TAX CONVENTION

20 December 1994 External T.I. 9421435- ROYALTIES AND CANADA-UK INCOME TAX CONVENTION Unedited CRA Tags 212(5) Art 12(3) Please note that the following document, although believed to be correct at the time of issue, may not represent the current position of the Department. ... Income Tax Convention; the said payments representing copyright royalties in respect of the reproduction of any literary, dramatic, musical or artistic work other than in respect of motion pictures and works on film, videotape or other means of reproduction for use in connection with television broadcasting. ...
Miscellaneous severed letter

7 October 1990 Income Tax Severed Letter - Determination of Residence under Canada-Germany Income Tax Convention

7 October 1990 Income Tax Severed Letter- Determination of Residence under Canada-Germany Income Tax Convention Unedited CRA Tags Canada-Germany Income Tax Convention Dear Sirs: Re: Request for Technical Interpretation We are writing in response to your letter, dated July 31, 1990 regarding a German citizen who has personal and economic ties with both Canada and Germany. ...
Technical Interpretation - Internal

6 July 1989 Internal T.I. 58279 F - Canada-U.K. Tax Convention on RRSP Annuities

Tax Convention on RRSP Annuities Unedited CRA Tags 110(1)(f)(i), 146(1) retirement income, 146.3(1) minimum amount, 212(1)(q), 217 19(1) File No. 5-8279   A.B. ... Tax Convention- 1978 (Treaty) and of the Income Tax Act (Act) to residents of the United kingdom (U.K.). ...
Miscellaneous severed letter

13 February 1990 Income Tax Severed Letter SCC8749 - Canada-Korea Income Tax Convention

13 February 1990 Income Tax Severed Letter SCC8749- Canada-Korea Income Tax Convention 19(1) HBW 4125-K3 Jim Wilson (613) 957-2063 February 13, 1990 Dear 19(1) RE: 24(1) We are writing in reply to your letter dated January 11, 1990, concerning the Canada- Korea Income Tax Convention and the status of the above-noted financial institution. ...
Miscellaneous severed letter

10 August 1990 Income Tax Severed Letter AC59341 - Canada-U.S. Income Tax Convention and Partnerships

Income Tax Convention and Partnerships 5-9341 O. Laurikainen (613) 957-2129 24(1) 19(1) Dear Sirs: Re: Canada-U.S. Income Tax Convention (1980) (the "Treaty") and Partnerships This is in response to your letter dated December 22, 1989 wherein you requested the Department's interpretation of certain treaty provisions under a hypothetical set of facts. ...
Miscellaneous severed letter

13 April 1987 Income Tax Severed Letter 5-3050 - [Canada-UK Income Tax Convention]

13 April 1987 Income Tax Severed Letter 5-3050- [Canada-UK Income Tax Convention] XXXX G. ... Income Tax Convention (the "Treaty") This is in reply to your letter of March 9, 1987 setting out your view that in a series of withdrawals from an RRSP which are paid to a resident of the U.K., only the final payment would be subject to withholding taxes pursuant to paragraph 212(1)(l) of the Income Tax Act (the Act) and Article 17 of the Treaty. ...
Miscellaneous severed letter

17 December 1986 Income Tax Severed Letter 5-2479 - [Canada-U.K. Income Tax Convention (the "Treaty")]

Income Tax Convention (the "Treaty")] XXXX G. Thornley (613) 957-2130 December 17, 1986 Dear Sirs: Re: Canada-U.K. Income Tax Convention (the "Treaty") This is in reply to your letter of November 10, 1986 requesting a technical interpretation of Article XXVII(2) of the Treaty in the following hypothetical situation. 1. ...

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