← Historical versions

Versions of s. 95(2)(g)(i)(A)

I-3.3 — Income Tax Act · 4 versions · View current text

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

  1. 2018-12-13 to present available View Source
    another foreign affiliate of the taxpayer in respect of which the taxpayer has a qualifying interest throughout the year (which other foreign affiliate is referred to in this paragraph as a “qualified foreign affiliate”) by the particular affiliate, or
    Full text

    another foreign affiliate of the taxpayer in respect of which the taxpayer has a qualifying interest throughout the year (which other foreign affiliate is referred to in this paragraph as a “qualified foreign affiliate”) by the particular affiliate, or

  2. 2009-03-12 to 2018-12-13 View Source
    another foreign affiliate of the taxpayer in respect of which the taxpayer has a qualifying interest throughout the year (which other foreign affiliate is referred to in this paragraph as a qualified“qualified foreign affiliate)affiliate”) by the particular affiliate, or
    Full text

    another foreign affiliate of the taxpayer in respect of which the taxpayer has a qualifying interest throughout the year (which other foreign affiliate is referred to in this paragraph as a “qualified foreign affiliate”) by the particular affiliate, or

  3. 2007-12-14 to 2009-03-12 View Source
    another foreign affiliate of the taxpayer in respect of which the taxpayer has a qualifying interest throughout the year or any(which other non-resident corporation to which the particularforeign affiliate andis the taxpayer are related throughout the year (referredreferred to in this paragraph as a “qualifiedqualified foreign corporation”),affiliate) by the particular affiliate, or
    Full text

    another foreign affiliate of the taxpayer in respect of which the taxpayer has a qualifying interest throughout the year (which other foreign affiliate is referred to in this paragraph as a qualified foreign affiliate) by the particular affiliate, or

  4. 2004-08-31 to 2007-12-14 View Source

    another foreign affiliate of the taxpayer in respect of which the taxpayer has a qualifying interest throughout the year or any other non-resident corporation to which the particular affiliate and the taxpayer are related throughout the year (referred to in this paragraph as a “qualified foreign corporation”), or