Thus, the remainder of this section contains more speculation than elsewhere in this post — the truth is that while the idea is simple (fork = free money = taxable), the details are messy and other
kinds of tax treatment might apply to forks.
Not exact matches
They also are far and away more likely to have the
kinds of assets (home equity, TFSAs, RRSPs) that benefit from favourable
tax treatment.
Other
tax shelters such as carried interest,
tax free like
kind exchanges
of real estate, and special
treatment of option based executive compensation should scaled back or closed.
This in turn implies no clergy deductions, no
tax exemption and no preferential
treatment of any
kind.
Mutual funds can receive various
kinds of income, each with a different
tax treatment.
Unfortunately, qualified dividends are no longer eligible for capital gains
treatment, so all dividends
of any
kind are now
taxed as ordinary income.
A NextShares fund may permit cash to be substituted for some or all
of the Basket instruments when: (a) the instruments are, for the purchase
of a Creation Unit, not available in sufficient quantity; (b) the instruments are not eligible for trading by the Authorized Participant or the investor on whose behalf the Authorized Participant is acting; or (c) a holder
of Fund shares investing in foreign instruments would be subject to unfavorable income
tax treatment if the holder receives redemption proceeds in
kind.
They had to call it property, and it had to inherit like -
kind tax treatment because
of it barring any specific disqualification that doesn't currently exist.
CCT
tax should be levied the same way as VAT, and the money raised from CCT should go directly to pay for medical
treatments and compensation claims against the states that are perpetuating this
kind of suffering.
Relinquished properties and like -
kind replacement properties that are part
of a single like -
kind exchange transaction must qualify as like -
kind property to each other in order to qualify for
tax - deferred like -
kind exchange
treatment under Section 1031
of the Internal Revenue Code («like -
kind exchange»).
Top among their concerns was the potential elimination
of the favorable
tax treatment of like -
kind property exchanges.