← Historical versions

Versions of s. 34.2(17)(b)

I-3.3 — Income Tax Act · 2 versions · View current text

Historical text comes from the Justice Laws point-in-time corpus and is unofficial — not the official version.

  1. 2013-12-12 to present available View Source
    the descriptions in subparagraph (b)(ii) of the definition adjusted stub period accrual in subsection (1) read as follows: A is the total of all amounts each of which is the corporation’s share of an income or taxable capital gain of the partnership for the particular period (other than any amount for which a deduction is available under section 112 or 113), B the total of all amounts each of which is the corporation’s share of a loss or allowable capital loss — to the extent that the total of all allowable capital losses does not exceed the total of all taxable capital gains included in the description of A — of the partnership for the particular period, C is the corporation’s eligible alignment income for the eligible fiscal period,nil, D is the number of days that are in both the year and the particular period, E is the number of days in the particular period, F is the amount of the qualified resource expense in respect of the particular period of the partnership that is designated by the corporation for the year under subsection (6) in its return of income for the year filed with the Minister on or before its filing-due date for the year, and G is nil.
    Full text

    the descriptions in subparagraph (b)(ii) of the definition adjusted stub period accrual in subsection (1) read as follows: A is the total of all amounts each of which is the corporation’s share of an income or taxable capital gain of the partnership for the particular period (other than any amount for which a deduction is available under section 112 or 113), B the total of all amounts each of which is the corporation’s share of a loss or allowable capital loss — to the extent that the total of all allowable capital losses does not exceed the total of all taxable capital gains included in the description of A — of the partnership for the particular period, C is nil, D is the number of days that are in both the year and the particular period, E is the number of days in the particular period, F is the amount of the qualified resource expense in respect of the particular period of the partnership that is designated by the corporation for the year under subsection (6) in its return of income for the year filed with the Minister on or before its filing-due date for the year, and G is nil.

  2. 2011-12-15 to 2013-12-12 View Source

    the descriptions in subparagraph (b)(ii) of the definition adjusted stub period accrual in subsection (1) read as follows: A is the total of all amounts each of which is the corporation’s share of an income or taxable capital gain of the partnership for the particular period (other than any amount for which a deduction is available under section 112 or 113), B the total of all amounts each of which is the corporation’s share of a loss or allowable capital loss — to the extent that the total of all allowable capital losses does not exceed the total of all taxable capital gains included in the description of A — of the partnership for the particular period, C is the corporation’s eligible alignment income for the eligible fiscal period, D is the number of days that are in both the year and the particular period, E is the number of days in the particular period, F is the amount of the qualified resource expense in respect of the particular period of the partnership that is designated by the corporation for the year under subsection (6) in its return of income for the year filed with the Minister on or before its filing-due date for the year, and G is nil.