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发表于 2013-12-25 15:28:21
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In determining an individual’s residence for tax purposes, a distinction is made between two separate concepts:
1. The general concept of residence, which is not defined in the ITA but the meaning of which has been determined by the courts. It is where the individual, in the settled course of his or her life, normally lives. Factors the court considers include: residential ties, (dwelling place, spouse or common law partner, dependants), length, time, object, intention, and continuity concerning stays in Canada, personal property in Canada, and social or economic ties with Canada. IT221R3-CONSOLID, Determination of an individual’s residence status details these factors and others. This bulletin is available on the CRA website.
以上是通常概念的居民。 就是住哪儿的算哪儿的居民。
2. The concept of deemed residence. An individual is deemed to be a resident of Canada for the entire year in specified cases which include:
• sojourning in Canada for 183 days or more in a year,
• being a member of the Canadian forces,
• performing services outside Canada under an international assistance program of the Canadian International Development Agency (CIDA), if the individual was resident in Canada at any time during the three months prior to the day the services commenced, or
• being an officer or servant of Canada or a province if, immediately prior to the appointment, the individual was resident in Canada.
deemed residence貌似比较复杂,跟大家相关的就是一年住满183天算deemed residence。
It is an either/or situation. If a person is a resident of Canada, then that person cannot be a deemed resident. When a person is deemed to be a resident, the normal rules for determining residence do not apply. Such a person is considered to be resident for the entire year and is liable for Part I tax on world income. |
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