← Historical versions

Versions of s. 96(9)

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. 2018-12-13 to present available View Source
    For the purposes of applying subsection (8) and this subsection,
    Full text

    For the purposes of applying subsection (8) and this subsection,

  2. 2013-06-26 to 2018-12-13 View Source
    For the purposepurposes of applying subsection 96(8),(8) whereand it can reasonably be considered that one of the main reasons that there is a member of the partnership who is resident in Canada is to avoid the application of thatthis subsection, the member shall be deemed not to be resident in Canada.
    Full text

    For the purposes of applying subsection (8) and this subsection,

  3. 2004-08-31 to 2013-06-26 View Source

    For the purpose of applying subsection 96(8), where it can reasonably be considered that one of the main reasons that there is a member of the partnership who is resident in Canada is to avoid the application of that subsection, the member shall be deemed not to be resident in Canada.