Search - convention
Results 91 - 100 of 8216 for convention
Technical Interpretation - External summary
30 November 2000 External T.I. 2000-0002855 F - Emigration disposition réelle convention -- summary under Subparagraph 128.1(4)(b)(iv)
30 November 2000 External T.I. 2000-0002855 F- Emigration disposition réelle convention-- summary under Subparagraph 128.1(4)(b)(iv) Summary Under Tax Topics- Income Tax Act- Section 128.1- Subsection 128.1(4)- Paragraph 128.1(4)(b)- Subparagraph 128.1(4)(b)(iv) application of s. 128.1(4)(b)(iv) exception to US stock market portfolio An individual ceased to be a resident of Canada and became a US resident and, while there, accumulated a US stock market portfolio. ...
Technical Interpretation - External summary
30 November 2000 External T.I. 2000-0002855 F - Emigration disposition réelle convention -- summary under Subsection 220(4.5)
30 November 2000 External T.I. 2000-0002855 F- Emigration disposition réelle convention-- summary under Subsection 220(4.5) Summary Under Tax Topics- Income Tax Act- Section 220- Subsection 220(4.5) return of s. 220(4.5) security only when s. 128.1(6) applied CCRA indicated that security posted pursuant to s. 220(4.5) relating to a deemed disposition under s. 128.1(4)(b) would not be returned where, at the time of the disposition of the property, the taxpayer was a U.S. resident under the Canada-US Treaty, and that the departure tax under 128.1(4)(b) as well as the related security would only be cancelled where s. 128.1(6) applied (re a returning former resident). ...
Technical Interpretation - Internal summary
18 May 2011 Internal T.I. 2010-0380391I7 F - Convention entre des co-propriétaires -- summary under Nature of Income
18 May 2011 Internal T.I. 2010-0380391I7 F- Convention entre des co-propriétaires-- summary under Nature of Income Summary Under Tax Topics- Income Tax Act- Section 9- Nature of Income agreement of co-owners to share revenues disproportionately would be recognized if such agreement is binding Two co-owners of a triplex (the “Taxpayers”) agree that the first Taxpayer can live in one of the units free of rent and that the other Taxpayer, whose daughter resides in a second unit, would be exclusively allocated for inclusion in that Taxpayer’s return all the revenues generated by that unit. ...
Technical Interpretation - External summary
1 March 2017 External T.I. 2016-0658431E5 - Article XIII of Canada-U.S. Convention -- summary under Paragraph (d)
Convention-- summary under Paragraph (d) Summary Under Tax Topics- Income Tax Act- Section 248- Subsection 248(1)- Taxable Canadian Property- Paragraph (d) derived principally test done on look-through basis The question of whether a share or trust interest derives its value from Canadian real property for purposes of the Canada-U.S. ...
Technical Interpretation - External summary
30 March 2017 External T.I. 2015-0609951E5 F - Article 18 of the Canada-Turkey Income Tax Convention -- summary under Paragraph 56(1)(d)
30 March 2017 External T.I. 2015-0609951E5 F- Article 18 of the Canada-Turkey Income Tax Convention-- summary under Paragraph 56(1)(d) Summary Under Tax Topics- Income Tax Act- Section 56- Subsection 56(1)- Paragraph 56(1)(d) capital components are not deduction of cost The definition of “annuity” in Art. 18 of the Canada-Turkey Treaty excludes “any annuity the cost of which was deductible for the purposes of taxation in the Contracting State in which it was acquired.” ...
Technical Interpretation - External summary
26 May 2009 External T.I. 2009-0316841E5 F - Convention de retraite, crédit d'impôt étranger -- summary under Paragraph (b)
26 May 2009 External T.I. 2009-0316841E5 F- Convention de retraite, crédit d'impôt étranger-- summary under Paragraph (b) Summary Under Tax Topics- Income Tax Act- Section 207.5- Subsection 207.5(1)- Refundable Tax- Paragraph (b) usual Pt. ...
Technical Interpretation - External summary
26 May 2009 External T.I. 2009-0316841E5 F - Convention de retraite, crédit d'impôt étranger -- summary under Subsection 126(1)
26 May 2009 External T.I. 2009-0316841E5 F- Convention de retraite, crédit d'impôt étranger-- summary under Subsection 126(1) Summary Under Tax Topics- Income Tax Act- Section 126- Subsection 126(1) no foreign tax credit can be claimed for non-business income tax paid on income of RCA trust Before indicating that foreign tax paid on non-business income may be deductible under s. 20(11) or (12) in computing income for purposes of the Part XI.3 tax on retirement compensation arrangements, CRA stated: Pursuant to paragraph 149(1)(q.1), no Part I tax is payable on the taxable income of an RCA trust. ...
Technical Interpretation - External summary
20 August 2008 External T.I. 2008-0288561E5 F - Convention de partage d'une société de personnes -- summary under Subsection 96(1.1)
20 August 2008 External T.I. 2008-0288561E5 F- Convention de partage d'une société de personnes-- summary under Subsection 96(1.1) Summary Under Tax Topics- Income Tax Act- Section 96- Subsection 96(1.1) no income could be allocated under s. 96(1.1) where aggregate income was nil The partnership agreement for a services partnership provides that a partner who has withdrawn will be paid over five years an amount respecting work-in-progress and paid at a formula-based rate over five years, with the parties agreeing that such amounts be paid as income allocations under s. 96(1.1). ...
Conference summary
6 October 2006 Roundtable, 2006-0197151C6 F - Acquisition selon convention entre actionnaires -- summary under Subsection 70(9.2)
6 October 2006 Roundtable, 2006-0197151C6 F- Acquisition selon convention entre actionnaires-- summary under Subsection 70(9.2) Summary Under Tax Topics- Income Tax Act- Section 70- Subsection 70(9.2) children’s exercise of a right in a shareholders’ agreement to acquire farmco shares that is triggered on their father’s death would not be a consequence of his death A shareholders' agreement gives children the right to acquire the shares of a farm corporation for $1 after their father's death. ...
Technical Interpretation - Internal summary
4 January 2006 Internal T.I. 2005-0115801I7 F - Convention de retraite -- summary under Retirement Compensation Arrangement
4 January 2006 Internal T.I. 2005-0115801I7 F- Convention de retraite-- summary under Retirement Compensation Arrangement Summary Under Tax Topics- Income Tax Act- Section 248- Subsection 248(1)- Retirement Compensation Arrangement arrangement was not an RCA because the benefits were not reasonable A closely-held corporation that was dividending out all the profits of its business also established a purported retirement compensation arrangement (RCA) trust for two employees who, indirectly, were the corporation’s two shareholders, and made contributions to the trust that were funded by loans from the trust. ...