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Income Tax Folio S1-F3-C1, Child Care Expense Deduction

Income Tax Folio S1-F3-C1, Child Care Expense Deduction Series 1: Individuals Folio 3: Family Unit Issues Chapter 1: Child Care Expense Deduction Summary The purpose of the legislative provisions regarding child care expenses is to provide some relief for taxpayers who incur child care expenses in order to work, carry on a business or undertake certain educational […]

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ITNEWS-34-Sale of Tax Losses

Sale of Tax Losses The Act contains many provisions that are designed to ensure that a corporation’s tax losses cannot be used by unrelated [or sometimes unaffiliated] persons unless they continue to carry on the corporation’s business with a reasonable expectation of profit. However, these loss restriction rules generally only apply when the unrelated persons

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Income Tax Folio S4-F7-C1, Amalgamations of Canadian Corporations

Income Tax Folio S4-F7-C1, Amalgamations of Canadian Corporations Series 4:  Businesses Folio 7:  Wind-ups, Dissolutions and Amalgamations Chapter 1:  Amalgamations of Canadian Corporations Summary This Chapter outlines the Canada Revenue Agency’s (CRA) views on a number of issues relating to the amalgamation of two or more taxable Canadian corporations as described in subsection 87(1) (referred to in this

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Income Tax Folio S3-F8-C1, Principal-business Corporations in the Resource Industries

Income Tax Folio S3-F8-C1, Principal-business Corporations in the Resource Industries Series 3: Property, Investments and Savings Plans Folio 8: Resource Properties Chapter 1: Principal-business Corporations in the Resource Industries Summary The Act provides various incentives for principal-business corporations operating in resource industries. This Chapter discusses the criteria for determining whether a corporation qualifies as a principal-business corporation (PBC) as that

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Income Tax Folio S1-F5-C1, Related Persons and Dealing at Arm’s Length

Income Tax Folio S1-F5-C1, Related Persons and Dealing at Arm’s Length Series 1:  Individuals Folio 5:  Transfers of Income, Property or Rights to Third Parties Chapter 1:  Related Persons and Dealing at Arm’s Length Summary This Chapter discusses the criteria used to determine whether persons deal with each other at arm’s length for purposes of

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IT243R4- Dividend Refund to Private Corporations

NO: IT-243R4 DATE: February 12, 1996 SUBJECT: INCOME TAX ACT Dividend Refund to Private Corporations REFERENCE: Section 129 (also sections 51, 84, 85.1, 86, 87, 88, 105, 123.2, 125, 150, and 157; subsections 12(10.2), 15(3), 85(1), 104(13) and (14), 126(1) and (2), 161(2), 186(2), 256(2), and 260(7); the definitions of “designated property” and “private corporation” in

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