← Historical versions

Versions of s. 37(6.1)(b)(i)

I-3.3 — Income Tax Act · 3 versions · View current text

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

  1. 2017-12-14 to present available View Source
    if the business to which the amounts described in any of clauses (a)(i)(A) to (C) can reasonably be considered to have been related was carried on by the taxpayer for profit or with a reasonable expectation of profit throughout the year, the total of
    Full text

    if the business to which the amounts described in any of clauses (a)(i)(A) to (C) can reasonably be considered to have been related was carried on by the taxpayer for profit or with a reasonable expectation of profit throughout the year, the total of

  2. 2013-12-12 to 2017-12-14 View Source
    whereif the business to which the amounts described in clauseany (a)(i)(A),of (B)clauses or(a)(i)(A) to (C) maycan reasonably be considered to have been related was carried on by the corporationtaxpayer for profit or with a reasonable expectation of profit throughout the year, the total of
    Full text

    if the business to which the amounts described in any of clauses (a)(i)(A) to (C) can reasonably be considered to have been related was carried on by the taxpayer for profit or with a reasonable expectation of profit throughout the year, the total of

  3. 2004-08-31 to 2013-12-12 View Source

    where the business to which the amounts described in clause (a)(i)(A), (B) or (C) may reasonably be considered to have been related was carried on by the corporation for profit or with a reasonable expectation of profit throughout the year, the total of