5(1)

IT202R2- Employees’ or workers’ compensation

NO.: IT-202R2 DATE: September 19, 1985 SUBJECT: INCOME TAX ACT Employees’ or workers’ compensation REFERENCE:  Paragraph 56(1)(v) and subparagraph 110(1)(f)(ii) (also subsection 5(1)) This bulletin cancels and replaces IT-202R dated July 14, 1980 and IT-202R Special Release dated December 29, 1980 1. In this bulletin (a) “compensation board” includes any employees’ or workers’ compensation board or commission in any […]

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Income Tax Folio S3-F9-C1, Lottery Winnings, Miscellaneous Receipts, and Income (and Losses) from Crime

Income Tax Folio S3-F9-C1, Lottery Winnings, Miscellaneous Receipts, and Income (and Losses) from Crime Series 3: Property, Investments and Savings Plans Folio 9: Miscellaneous Payments/Receipts Chapter  1:  Lottery Winnings, Miscellaneous Receipts, and Income (and Losses) from Crime Summary This Chapter discusses the tax treatment of various receipts, such as strike pay, gambling winnings, and forfeited

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IT365R2- Damages, settlements, and similar receipts

NO: IT-365R2 DATE: May 8, 1987 SUBJECT: INCOME TAX ACT Damages, Settlements and Similar Receipts REFERENCE: Section 3 (also section 6, subsections 5(1), 12.2(1) and (3), 14(1), 16(1), 56(1), and 248(1), paragraphs 81(1)(g.1) and (g.2) and subparagraphs 14(5)(a)(iv) and 56(1)(a)(ii)). This bulletin replaces and cancels IT-365R dated March 9, 1981 and the Special Release to IT-365R

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IT257R- Canada Council Grants

NO: IT-257R DATE: March 31, 1995 SUBJECT: INCOME TAX ACT Canada Council Grants REFERENCE: Paragraph 56(1)(n) (also subsections 5(1) and 9(1), paragraphs 8(1)(p) and (q) and 56(1)(o) of the Income Tax Act and section 7700 of the Income Tax Regulations Application This bulletin cancels and replaces Interpretation Bulletin IT-257, dated October 20, 1975 and the Special

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IT113R4- Benefits to Employees – Stock Options

NO: IT-113R4 DATE: August 7, 1996 SUBJECT: INCOME TAX ACT Benefits to Employees – Stock Options REFERENCE: Section 7 (also subsections 2(3), 5(1), 8(12), 110(1.5), 115(1) and the definition of “Canadian-controlled private corporation” in subsection 125(7), paragraphs 6(1)(a), 53(1)(j) and 110(1)(d) and (d.1), and subparagraph 128.1(4)(b)(vi) of the Income Tax Act; and section 6204 of the

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