Sentences with phrase «making payments in lieu of taxes»

(He makes payments in lieu of taxes under an arrangement that allows the money to go back into the mall.)

Not exact matches

Ordinarily, cash payments made in lieu of unvested stock awards would trigger an immediate income - tax liability for the recipient.
Also at 11 a.m., Albany Mayor Kathy Sheehan and Albany Medical Center CEO Jim Barba make an announcement regarding the hospital's payment in lieu of taxes, Huyck Auditorium, Albany Medical Center, 47 New Scotland Ave., Albany.
During that same period, the company would make $ 3.36 million in payments in lieu of taxes to the county, the town of Van Buren and the Baldwinsville Central School District.
Nine Mile Point makes nearly $ 24 million a year in payments in lieu of taxes.
Annual Credit for Substitute Payments If you have a margin account, learn how payments made in lieu of dividends may impact youPayments If you have a margin account, learn how payments made in lieu of dividends may impact youpayments made in lieu of dividends may impact your taxes.
• Eliminate the dividend withholding tax in its entirety if it can be circumvented so easily • Source dividend - equivalent payments by reference to the source of the dividend income on the underlier (e.g., similar to sourcing rules for in - lieu of dividend payments made in connection with securities loans)-- cascading withholding taxes — multiple derivatives can be entered into on same share of stock — would change shift dealer activity (and its tax revenues) to London?
284 (1) The Minister of Finance may make regulations governing the distribution of payments in lieu of taxes received by the City.
In addition, employers who have avoided putting PILON clauses in their contracts so that they have the flexibility of making tax free termination payments should be warned that there is now no tax advantage to not having a clause, and in fact, by making a payment in lieu of notice where there is no entitlement in the contract has the effect of rendering any restrictive covenants voiIn addition, employers who have avoided putting PILON clauses in their contracts so that they have the flexibility of making tax free termination payments should be warned that there is now no tax advantage to not having a clause, and in fact, by making a payment in lieu of notice where there is no entitlement in the contract has the effect of rendering any restrictive covenants voiin their contracts so that they have the flexibility of making tax free termination payments should be warned that there is now no tax advantage to not having a clause, and in fact, by making a payment in lieu of notice where there is no entitlement in the contract has the effect of rendering any restrictive covenants voiin fact, by making a payment in lieu of notice where there is no entitlement in the contract has the effect of rendering any restrictive covenants voiin lieu of notice where there is no entitlement in the contract has the effect of rendering any restrictive covenants voiin the contract has the effect of rendering any restrictive covenants void.
Administrative law — Judicial review — Municipal law — Taxation — Real property taxPayments made by Federal Crown in lieu of real property tax — Assessed value of Halifax Citadel — Whether the Federal Court of Appeal erred in holding that the Minister is unconstrained by the assessed value of the property determined by the assessment authority in determining the property value of a federal property for purposes of the PILT Act — Whether the Federal Court of Appeal erred in holding that the Minister acted reasonably in determining the property value of the Halifax Citadel lands (adopting the determination of the Dispute Advisory Panel appointed under the Act), and in particular in valuing the portion of the lands upon which are located improvements which are exempt from payments in lieu of taxes, representing 47 of 49 acres of the site, at $ 10 — Whether the Court should consider the present case as it raises similar issues as Montréal (City) v. Montréal Port Authority 2010 SCC 14, [2010] 1 S.C.R. 427, but from the perspective of assessed value — Payments in Lieu of Taxes Act, R.S.C. 1985, c.Payments made by Federal Crown in lieu of real property tax — Assessed value of Halifax Citadel — Whether the Federal Court of Appeal erred in holding that the Minister is unconstrained by the assessed value of the property determined by the assessment authority in determining the property value of a federal property for purposes of the PILT Act — Whether the Federal Court of Appeal erred in holding that the Minister acted reasonably in determining the property value of the Halifax Citadel lands (adopting the determination of the Dispute Advisory Panel appointed under the Act), and in particular in valuing the portion of the lands upon which are located improvements which are exempt from payments in lieu of taxes, representing 47 of 49 acres of the site, at $ 10 — Whether the Court should consider the present case as it raises similar issues as Montréal (City) v. Montréal Port Authority 2010 SCC 14, [2010] 1 S.C.R. 427, but from the perspective of assessed value — Payments in Lieu of Taxes Act, R.S.C. 1985, c. M -lieu of real property tax — Assessed value of Halifax Citadel — Whether the Federal Court of Appeal erred in holding that the Minister is unconstrained by the assessed value of the property determined by the assessment authority in determining the property value of a federal property for purposes of the PILT Act — Whether the Federal Court of Appeal erred in holding that the Minister acted reasonably in determining the property value of the Halifax Citadel lands (adopting the determination of the Dispute Advisory Panel appointed under the Act), and in particular in valuing the portion of the lands upon which are located improvements which are exempt from payments in lieu of taxes, representing 47 of 49 acres of the site, at $ 10 — Whether the Court should consider the present case as it raises similar issues as Montréal (City) v. Montréal Port Authority 2010 SCC 14, [2010] 1 S.C.R. 427, but from the perspective of assessed value — Payments in Lieu of Taxes Act, R.S.C. 1985, c.payments in lieu of taxes, representing 47 of 49 acres of the site, at $ 10 — Whether the Court should consider the present case as it raises similar issues as Montréal (City) v. Montréal Port Authority 2010 SCC 14, [2010] 1 S.C.R. 427, but from the perspective of assessed value — Payments in Lieu of Taxes Act, R.S.C. 1985, c. M -lieu of taxes, representing 47 of 49 acres of the site, at $ 10 — Whether the Court should consider the present case as it raises similar issues as Montréal (City) v. Montréal Port Authority 2010 SCC 14, [2010] 1 S.C.R. 427, but from the perspective of assessed value — Payments in Lieu of Taxes Act, R.S.C. 1985, c. M taxes, representing 47 of 49 acres of the site, at $ 10 — Whether the Court should consider the present case as it raises similar issues as Montréal (City) v. Montréal Port Authority 2010 SCC 14, [2010] 1 S.C.R. 427, but from the perspective of assessed value — Payments in Lieu of Taxes Act, R.S.C. 1985, c.Payments in Lieu of Taxes Act, R.S.C. 1985, c. M -Lieu of Taxes Act, R.S.C. 1985, c. M Taxes Act, R.S.C. 1985, c. M - 13.
Under the current provisions, any payment from an approved superannuation fund that is made to an employee in lieu of / in commutation of an annuity, after a specified age, on retirement, or on becoming incapacitated prior to such retirement - is exempted from tax.
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