Watch Jon D. Gilbert, LL.B of Felesky Flynn LLP discuss the Partnership Information Returns.
Click here for the source documentation.
Watch Jon D. Gilbert, LL.B of Felesky Flynn LLP discuss the Partnership Information Returns.
Click here for the source documentation.
Watch Jason Watt, CD, CLU®, RHU™ of Business Career College Corp. discuss the Coordinating with Financial Planners - FAQs.
AREAS OF FREQUENT QUESTIONS BY FINANCIAL PLANNERS (linked)
In a March 2, 2015 Technical Interpretation (2014-0527281E5, Dagenais, Anne), CRA clarified that even if the individual does not own or lease the property but is responsible for it and pays expenses on a regular basis, the location may be a SCDE. Where the payments are random or irregular, it will not be a SCDE.
For further information see VTN Monthly Tax Update Seminar, Issue No. 409
In a June 22, 2015 Technical Interpretation (2015-0574271E5, El-Kadi, Randa), CRA confirmed that the definition of a “Qualifying Home” (Subsection 146.01(1)) is clear that the residence must be located in Canada. CRA referred concerns about the related tax policy to the Department of Finance.
For further information see VTN Monthly Tax Update Seminar, Issue No. 410
In a July 22, 2015 Tax Court of Canada case (9259-9893 Quebec Inc. vs. H.M.Q., 2014-1352(GST)I), the taxpayer was unsuccessful in Appealing CRA’s GST assessment based on the taxpayer’s unreported business income. CRA examined the cash bank deposits to determine the unreported revenue.
For further information see VTN Monthly Tax Update Seminar, Issue No. 409